Commonwealth Consolidated Acts
[Index]
[Table]
[Search]
[Search this Act]
[Notes]
[Noteup]
[Download]
[Help]
NEW BUSINESS TAX SYSTEM (CONSOLIDATION) ACT (NO. 1) 2002
TABLE OF PROVISIONS
1. Short title
3. Schedule(s)
4. Amendment of income tax assessments
PART 3-90----CONSOLIDATED GROUPS
Division 700--Guide and objects
700.1. What this Part is about
700.5. Overview of this Part
700.10. Objects of this Part
Division 701--Core rules
701.1. Single entity rule
701.5. Entry history rule
701.10. Cost to head company of assets that entity brings into group
701.15. Cost to head company of membership interests in entity that leaves group
701.20. Cost to head company of assets consisting of certain liabilities owed by entity that leaves group
701.25. Tax-neutral consequence for head company of ceasing to hold assets when entity leaves group
701.30. Where entity not subsidiary member for whole of income year
701.35. Tax-neutral consequence for entity of ceasing to hold assets when it joins group
701.40. Exit history rule
701.45. Cost of assets consisting of liabilities owed to entity by members of the group
701.50. Cost of certain membership interests of which entity becomes holder on leaving group
701.55. Setting the tax cost of an asset
701.60. Tax cost setting amount
701.65. Net income and losses for trusts and partnerships
701.70. Adjustments to taxable income where identities of parties to arrangement merge on joining group
701.75. Adjustments to taxable income where identities of parties to arrangement re-emerge on leaving group
701.80. Accelerated depreciation
701.85. Other exceptions etc. to the rules
Division 703--Consolidated groups and their members
703.1. What this Division is about
703.5. What is a consolidated group?
703.10. What is a consolidatable group?
703.15. Members of a consolidated group or consolidatable group
703.20. Certain entities that cannot be members of a consolidated group or consolidatable group
703.25. Australian residence requirements for trusts
703.30. When is one entity a wholly-owned subsidiary of another?
703.35. Treating entities as wholly-owned subsidiaries by disregarding employee shares
703.40. Treating entities held through non-fixed trusts as wholly-owned subsidiaries
703.45. Entities interposed between the head company and a subsidiary member of a consolidated group
703.50. Choice to consolidate a consolidatable group
703.55. Creating consolidated groups from certain MEC groups
703.60. Notice of events affecting consolidated group
Division 705--Tax cost setting amount for assets where entities become subsidiary members of consolidated groups
705.1. What this Division is about
Subdivision 705-A--Basic case
705.5. What this Subdivision is about
705.10. Application and object of this Subdivision
705.15. Cases where this Subdivision does not have effect
705.20. Tax cost setting amount worked out under this Subdivision
705.25. Tax cost setting amount for retained cost base assets
705.30. What is the joining entity’s terminating value for an asset?
705.35. Tax cost setting amount for reset cost base assets
705.40. Reduction in tax cost setting amount for revenue assets
705.45. Reduction in tax cost setting amount for accelerated depreciation assets
705.50. Reduction in tax cost setting amount for over-depreciated assets
705.55. Order of application of sections 705-40, 705-45 and 705-50
705.60. What is the joined group’s allocable cost amount for the joining entity?
705.65. Cost of membership interests in the joining entity—step 1 in working out allocable cost amount
705.70. Liabilities of the joining entity—step 2 in working out allocable cost amount
705.75. Liabilities of the joining entity—reductions for purposes of step 2 in working out allocable cost amount
705.80. Liabilities of the joining entity—reductions/increases for purposes of step 2 in working out allocable cost amount
705.85. Liabilities of the joining entity—increases for purposes of step 2 in working out allocable cost amount
705.90. Undistributed, frankable profits accruing to joined group before joining time—step 3 in working out allocable cost amount
705.95. Pre-joining time distributions out of certain profits—step 4 in working out allocable cost amount
705.100.Losses accruing to joined group before joining time—step 5 in working out allocable cost amount
705.105.Continuity of holding membership interests—steps 3 to 5 in working out allocable cost amount
705.110.If joining entity transfers a loss to the head company—step 6 in working out allocable cost amount
705.115.If head company becomes entitled to certain deductions—step 7 in working out allocable cost amount
705.120.Preservation of application of Subdivision 165-CC (about unrealised losses)
Subdivision 165-CC--becomes potentially applicable to proportion of assets acquired by head company
705.125.Pre-CGT factor for assets of joining entity
Division 707--Losses for head companies when entities become members etc
Subdivision 707-A--Transfer of previously unutilised losses to head company
707.100.What this Subdivision is about
707.105.Who can utilise the loss?
707.110.Objects of this Subdivision
707.115.What losses this Subdivision applies to
707.120.Transfer of loss from joining entity to head company
707.125.Modified same business test for companies’ post-1999 losses
707.130.Modified pattern of distributions test
707.135.Transferring loss transferred to joining entity because same business test was passed
707.140.Effect of transfer of loss
707.145.Cancelling the transfer of the loss
707.150.Loss cannot be utilised for income year ending after the joining time
Subdivision 707-B--Can a transferred loss be utilised
707.200.What this Subdivision is about
707.205.Modified period for test for maintaining same ownership
707.210.Utilisation of certain losses transferred from a company depends on company that made the losses earlier
Subdivision 707-C--Amount of transferred losses that can be utilised
707.300.What this Subdivision is about
707.305.Object of this Subdivision
707.310.How much of a transferred loss can be utilised?
707.315.What is a bundle of losses?
707.320.What is the available fraction for a bundle of losses?
707.325.Modified market value of an entity becoming a member of a consolidated group
707.330.Losses transferred from former head company
707.335.Limit on utilising transferred losses if circumstances change during income year
707.340.Utilising transferred losses while exempt income remains
707.345.Other provisions are subject to this Subdivision
Subdivision 707-D--Special rules about losses
707.400.Head company’s business before and after consolidation not compared
707.405.Modified operation of other provisions
Division 709--Other rules applying when entities become subsidiary members etc
Subdivision 709-A--Franking accounts
709.50. What this Subdivision is about
709.55. Object of this Subdivision
709.60. Nil balance franking account for joining entity
709.65. Subsidiary member’s franking account does not operate
709.70. Credits arising in head company’s franking account
709.75. Debits arising in head company’s franking account
709.80. Subsidiary member’s distributions on employee shares taken to be distributions by head company
709.85. Non-share distributions by subsidiary members taken to be distributions by head company
Division 711--Tax cost setting amount for membership interests where entities cease to be subsidiary members of consolidated groups
711.1. What this Division is about
711.5. Application and object of this Division
711.10. Tax cost setting amount worked out under this Division
711.15. Tax cost setting amount where no multiple exit
711.20. What is the old group’s allocable cost amount for the leaving entity?
711.25. Terminating values of assets that the leaving entity takes with it—step 1 in working out allocable cost amount
711.30. What is the head company’s terminating value for an asset?
711.35. If head company becomes entitled to certain deductions—step 2 in working out allocable cost amount
711.40. Liabilities owed to the leaving entity by members of the old group—step 3 in working out allocable cost amount
711.45. Liabilities etc. owed by the leaving entity—step 4 in working out allocable cost amount
711.50. Adjustment to allocable cost amount to ensure effect of Subdivision 165-CC not avoided—step 5 in working out allocable cost amount
711.55. Tax cost setting amount for membership interests where multiple exit
711.60. Membership interests treated as potentially subject to Subdivision 165-CC (about unrealised losses)
711.65. Membership interests treated as having been acquired before 20 September 1985—simple case
711.70. Membership interests treated as having been acquired before 20 September 1985—multiple exit case
Division 719--MEC groups
719.1. What this Division is about
719.5. What is a MEC group?
719.10. What is a potential MEC group?
719.15. What is an eligible tier-1 company?
719.20. What is a top company and a tier-1 company?
719.25. Head company and subsidiary members of a MEC group
719.30. Treating entities as wholly-owned subsidiaries by disregarding employee shares
719.35. Treating entities held through non-fixed trusts as wholly-owned subsidiaries
719.40. Special conversion event—potential MEC group
719.45. Application of sections 703-20 and 703-25
719.50. Eligible tier-1 companies may choose to consolidate a potential MEC group
719.55. When choice starts to have effect
719.60. Appointment of provisional head company
719.65. Qualifications for the provisional head company of a MEC group
719.70. Income year of new provisional head company to be the same as that of former provisional head company
719.75. Head company
719.80. Notice of events affecting MEC group
721.1. What this Division is about
721.5. Object of this Division
721.10. When this Division operates
721.15. Head company and contributing members jointly and severally liable to pay group liability
721.20. Limit on liability where group first comes into existence
721.25. When a group liability is covered by a tax sharing agreement
721.30. TSA contributing members liable for contribution amounts
721.35. When a TSA contributing member has left the group clear of the group liability
SCHEDULE 2 Transitional provisions relating to main consolidation provisions
SCHEDULE 3 Consequential amendments relating to main consolidation provisions
SCHEDULE 4 Amendments about Pay as you go (PAYG) instalments
SCHEDULE 5 Amendments of Dictionary
[Index]
[Table]
[Search]
[Search this Act]
[Notes]
[Noteup]
[Download]
[Help]