Commonwealth Numbered Acts1 Before Schedule 3
Schedule 2FTrust losses and other deductions
If there is a change in ownership or control of a trust or an abnormal trading in its units, it:
* may be prevented from deducting its tax losses of earlier
income years; and
* may have to work out in a special way its net income and
tax loss for the income year; and
* may be prevented from deducting certain
amounts in respect of debts incurred in the income year or earlier income
years.
This will not be the case if the trust is an excepted trust. However,
if it became one by making a family trust election, a special tax may be
payable on certain distributions and other amounts.
If a trust is involved in
a scheme to take advantage of deductions, it may be prevented from making full
use of them.

Subdivision 266-AOverview of this Division
266-5 What this Division is about
This Division is about the income tax consequences, for various kinds of fixed trusts, of certain events:
* for an ordinary fixed trust, the event is a change in ownership (subject to
a non-fixed trust exception);
* for an unlisted widely held trust, the event
is an abnormal trading in its units, or the end of an income year, together
with a change in ownership;
* for a listed widely held trust, the event is an
abnormal trading in its units, together with a change in ownership and
business;
* for an unlisted very widely held trust or a wholesale widely held
trust, the event is an abnormal trading in its units, together with a change
in ownership.

An ordinary fixed trust:
* cannot deduct a tax loss from an earlier income year; or
* has to
work out its net income and tax loss for the income year in a special way; or
* cannot deduct certain amounts in respect of debts incurred in the income
year or an earlier income year;
unless there has been continuity of ownership throughout a particular period or an exception relating to holdings by non-fixed trusts applies.

Type of trust to which this section applies
To find out the meaning of fixed trust : see section 272-65.
To find out the
meaning of widely held unit trust : see section 272-105.
To find out the
meaning of excepted trust : see section 272-100.
Condition for deducting tax loss
* the condition in section 266-40; or
* the conditions in section 266-45.
266-30 Fixed trust may be required to work out its net income and tax loss in
a special way
* the condition in section 266-40; or
* the conditions in section 266-45.
266-35 Fixed trust may be denied debt deduction
Type of trust to which this section applies
Condition for deducting amount
* the condition in section 266-40; or
* the conditions in section 266-45.
266-40 The trust must pass 50% stake test
To find out whether the trust passes the 50% stake test for the period: see Subdivision 269-C.
266-45 The trust must meet non-fixed trust stake test
First condition
Second condition
Third condition
Fourth condition
266-50 Deducting part of a tax loss
266-55 Information about non-fixed trusts with interests in fixed trust
Notice about non-resident non-fixed trust
First requirement
Second requirement
Third requirement
Fourth requirement
266-60 Notices where requirements of section 266-55 are met
Information required
Trustee knowledge
Period for giving information
Consequence of not giving the information
Application of Division 268
No offences or penalties
Subdivision 266-CEffect of change in ownership of unlisted widely held
trust
266-65 What this Subdivision is about
An unlisted widely held trust:
* cannot deduct a tax loss from an earlier income year; or
* has to work out
its net income and tax loss for the income year in a special way; or
* cannot
deduct certain amounts in respect of debts;
unless its ownership has been the same after any abnormal trading in its units and at the end of income years, during a certain period.

Type of trust to which this section appliescase 1
To find out the meaning of unlisted widely held trust : see
section 272-110.
To find out the meaning of wholesale widely held trust
: see section 272-125.
To find out the meaning of unlisted very widely
held trust : see section 272-120.
To find out the meaning of excepted
trust : see section 272-100.
Type of trust to which this section appliescase 2
To find out the meaning of listed widely held trust : see section 272-115.
Condition for deducting tax loss
266-80 Unlisted widely held trust may be required to work out its net income and tax loss in a special way
Type of trust to which this section appliescase 1
Type of trust to which this section appliescase 2
266-85 Unlisted widely held trust may be denied debt deduction
Type of trust to which this section appliescase 1
Type of trust to which this section appliescase 2
Condition for deducting amount
266-90 If abnormal trading or end of income year, trust must pass the 50% stake test
To find out whether the trust passes the 50% stake test: see Subdivision 269-C.
266-95 Deducting part of a tax loss
Subdivision 266-DEffect of abnormal trading on listed widely held trust
266-100 What this Subdivision is about
A listed widely held trust:
* cannot
deduct a tax loss from an earlier income year; or
* has to work out its net
income and tax loss for the income year in a special way; or
* cannot deduct
certain amounts in respect of debts incurred in the same year or earlier
income years;
unless either:
* there was no abnormal trading; or
* there
was abnormal trading, but the trust's ownership and business did not change.
Also, it may still be prevented from deducting the tax loss to the extent that it is attributable to certain debt deductions.

Type of trust to which this section applies
To find out the meaning of listed widely held trust : see
section 272-115.
To find out the meaning of excepted trust : see section
272-100.
Condition for deducting tax loss
* the condition in subsection 266-125(1); or
* the condition in subsection
266-125(2).
Additional restriction on deducting tax loss
266-115 Listed widely held trust may be required to work out its net income and tax loss in a special way
* the condition in subsection 266-125(1); or
* the condition in subsection
266-125(2).
266-120 Listed widely held trust may be denied debt deduction
Type of trust to which this section applies
Condition for deducting amount
* the condition in subsection 266-125(1); or
* the condition in subsection
266-125(2).
266-125 There must be no abnormal trading (subject to 50% stake
or same business exceptions)
To find out the meaning of abnormal trading : see Subdivision 269-B.
To find out whether the trust passes the 50% stake test: see Subdivision
269-C.
To find out whether the trust passes the same business test: see
Subdivision 269-F.
266-130 Deducting part of a tax loss
266-135 Listed widely held unit trust may be denied tax loss deduction otherwise allowable
Section applies after sections 266-110 and 266-130
Trust must satisfy condition if debt deduction etc.
Condition
Subdivision 266-EEffect of abnormal trading on unlisted very widely held
trust or wholesale widely held trust
266-140 What this Subdivision is about
An unlisted very widely held trust or a wholesale widely held trust:
* cannot
deduct a tax loss from an earlier income year; or
* has to work out its net
income and tax loss for the income year in a special way; or
* cannot deduct
certain amounts in respect of debts incurred in the income year or earlier
income years;
unless either:
* there was no abnormal trading; or
* there
was abnormal trading, but the trust's ownership did not change.

* the condition in subsection 266-165(1); or
* the condition in subsection
266-165(2).
To find out the meaning of unlisted very widely held trust : see
section 272-120.
To find out the meaning of wholesale widely held trust
: see section 272-125.
To find out the meaning of excepted trust : see
section 272-100.
To find out the meaning of listed widely held trust : see
section 272-115.
266-155 Unlisted very widely held trust or wholesale widely held trust may be required to work out its net income and tax loss in a special way
* the condition in subsection 266-165(1); or
* the condition in subsection
266-165(2).
266-160 Unlisted very widely held trust or wholesale widely held trust may be denied debt deduction
* the condition in subsection 266-165(1); or
* the condition in subsection
266-165(2).
266-165 There must be no abnormal trading (subject to 50% stake exception)
To find out the meaning of abnormal trading : see Subdivision 269-B.
To find out whether the trust passes the 50% stake test: see Subdivision 269-C.
266-170 Deducting part of a tax loss
Subdivision 266-FInformation about family trusts with interests in other
trusts
266-175 What this Subdivision is about
If a trust would only avoid the tax consequences of this Division because of interests held by a non-resident family trust, the Commissioner may require the trust to give certain information about the non-resident family trust. If it is not given, the trust does not avoid the tax consequences of this Division.
266-180 Information about family trusts with interests in other trusts
Notice about family trust
First requirement
Second requirement
Third requirement
Fourth requirement
266-185 Notices where requirements of section 266-180 are met
Information required
Trustee knowledge
Period for giving information
Consequence of not giving the information
No offences or penalties
Division 267Income tax consequences for non-fixed trusts of change in
ownership or control
267-5 What this Division is about
This Division is about the income tax consequences for a non-fixed trust if its ownership or control changes.
Subdivision 267-BDeducting tax losses, and certain
amounts in respect of debts, from earlier years
267-15 What this Subdivision
is about
A non-fixed trust cannot deduct:
* a tax loss from a loss year; or
* certain amounts in respect of debts incurred in earlier income years;
unless:
* if applicable, it meets an ownership test based on income and
capital distributions; and
* it did not fail that test in a previous year;
and
* if applicable, it meets an ownership test based on fixed entitlements
to income and capital; and
* its control has stayed the same.
267-20 Non-fixed trust may be denied tax loss deduction
Type of trust to which this Subdivision applies
To find out the meaning of non-fixed trust : see section 272-70.
To find out
the meaning of excepted trust : see section 272-100.
Conditions for deducting tax loss
* the condition in subsection 267-30(2) (if applicable); and
* the condition
in section 267-35; and
* the condition in subsection 267-40(2) (if
applicable); and
* the condition in section 267-45.
267-25 Non-fixed trust
may be denied debt deduction
Type of trust to which this section applies
Condition for deducting amount
* the condition in subsection 267-30(2) (if applicable); and
* the condition
in section 267-35; and
* the condition in subsection 267-40(2) (if
applicable); and
* the condition in section 267-45.
267-30 If certain
distributions are made, the trust must pass the pattern of distributions test
When trust must meet the condition
The condition
To find out whether the trust passes the pattern of distributions test for the income year: see Subdivision 269-D.
267-35 The trust must not have previously failed to meet the condition in subsection 267-30(2)
267-40 If there are individuals with more than a 50% stake in income or capital, more than a 50% stake in income or capital must be maintained
When trust must meet condition
To find out whether individuals have more than a 50% stake in the income or capital of the trust: see Subdivision 269-C.
Condition
Commissioner discretion
267-45 Group must not begin to control the trust
To find out what it means for a group to control the trust: see Subdivision 269-E.
267-50 Deducting part of a tax loss
Subdivision 267-CCurrent year net income and tax loss, and certain debts
incurred in current year
267-55 What this Subdivision is about
A non-fixed trust:
* must work out its net income and tax loss for the income year in a
special way; or
* cannot deduct certain amounts in respect of debts incurred
in the income year;
unless:
* if applicable, it meets an ownership test
relating to fixed entitlements to shares of income and capital; and
* its
control has stayed the same.
267-60 Trust may be required to work out its net income and tax loss in a special way
Type of trust to which this Subdivision applies
* the condition in subsection 267-70(2) (if applicable); and
* the condition
in section 267-75.
To find out the meaning of excepted trust : see section 272-100.
267-65 Non-fixed trust may be denied debt deduction
Type of trust to which this section applies
Condition for deducting amount
* the condition in subsection 267-70(2) (if applicable); and
* the condition
in section 267-75.
267-70 If there are individuals with more than a 50% stake
in income or capital, more than a 50% stake in income or capital must be
maintained
When trust must meet condition
To find out whether individuals have more than a 50% stake in the income or capital of the trust: see Subdivision 268-C.
Condition
Commissioner discretion
267-75 Group must not begin to control trust
To find out what it means for a group to control the trust: see Subdivision 269-E.
Subdivision 267-DInformation about family trusts with interests
in other trusts
267-80 What this Subdivision is about
If a trust would only avoid the tax consequences of this Division because of interests held by a non-resident family trust, the Commissioner may require the trust to give certain information about the non-resident family trust. If it is not given, the trust does not avoid the tax consequences of this Division.
267-85 Information about family trusts with interests in other trusts
Notice about family trust
First requirement
Second requirement
Third requirement
Fourth requirement
267-90 Notices where requirements of section 267-85 are met
Information required
Trustee knowledge
Period for giving information
Consequence of not giving the information
Application of Division 268
No offences or penalties
Division 268How to work out a trust's net income and tax loss for the
income year
268-5 What this Division is about
This Division requires a trust's net income and tax loss to be worked out in a special way. The income year is divided into periods as the basis for the calculation.
268-10 Income year of fixed trust to be divided into periodsfirst case
268-15 Income year of fixed trust to be divided into periodssecond case
To find out when a group begins to control a trust: see Subdivision 269-E.
268-20 Income year of widely held unit trust to be divided into periods
268-25 Income year of non-fixed trust to be divided into periods
Subdivision 268-COther steps in working out the net income and tax loss
268-30 Calculate the notional loss or net income for each period
For a period during which the trust was in partnership, the notional loss is worked out under Subdivision 268-D.
For a period during which the trust was in partnership, the notional net income is worked out under Subdivision 268-D.
The usual way of working out net income is set out in section 95.
268-35 How to attribute deductions to periods
See section 54, and Division 42 of the Income Tax Assessment Act 1997 .
See Divisions 10, 10AAA and 10AB of Part III, and Division 330 of the Income Tax Assessment Act 1997.
See Divisions 10, 10AAA and 10AB of Part III, and Division 330 of the Income Tax Assessment Act 1997 .
See section 124ZAFA.
See sections 79E, 79F, 80, 80AAA and 80AA, and Division 36 of the Income Tax Assessment Act 1997 .
See Divisions 10, 10AAA and 10AB of Part III, and Division 330 of the Income Tax Assessment Act 1997 .
See Divisions 10, 10AAA and 10AB of Part III, and Division 330 of the Income Tax Assessment Act 1997
See Division 16C of Part III.
See section 59, and subsection 330-485(2) of the Income Tax Assessment Act 1997 .
268-40 How to attribute assessable income to periods
See section 26B, and section 385-130 of the Income Tax Assessment Act 1997 .
See sections 36, 36AAA and 36AA, and Subdivision 385-E and section 385-160 of the Income Tax Assessment Act 1997 .
See section 70A, and item 1.16 in section 20-30, which lists deductions for which recoupments are assessable under Subdivision 20-A, of the Income Tax Assessment Act 1997 .
268-45 How to calculate the trust's net income for the income year
268-50 How to calculate the trust's section 79E loss for the income year
To work out the notional net income: see sections 268-30 and 268-70.
To find out how much of the loss can be deducted in later income years, see
Division 266 or 267.
To find out how to deduct it, see section 79E.
268-55 How to work out the trust's film loss for the income year
268-60 How to work out the trust's section 36-10 tax loss for the income year
To work out the notional net income: see sections 268-30 and 268-70.
To find out how much of the tax loss can be deducted in later income years,
see Division 266 or 267.
To find out how to deduct it, see section 36-15 of
the Income Tax Assessment Act 1997 .
268-65 How to work out the section 375-805 film component of the trust's tax loss for the income year
Subdivision 268-DRules that supplement Subdivision 268-C if the trust is
in partnership
268-70 How to calculate the trust's notional loss or net
income for a period when the trust was a partner
The usual way of working out net income is set out in section 95.
268-75 How to calculate the trust's share of a partnership's notional loss or notional net income for a period if both entities have the same income year
268-80 How to calculate the trust's share of a partnership's notional loss or notional net income for a period if the entities have different income years
268-85 Trust's full year deductions include a share of partnership's full year deductions
This Division explains the following concepts or tests that are used in preceding Divisions of this Schedule:
*
abnormal trading;
* 50% stake test etc.;
* pattern of distributions test;
*
control;
* same business test.
269-15 Abnormal tradinggeneral
269-20 Abnormal tradingsuspected acquisition or merger
269-25 Abnormal trading5% of units in a single transaction
269-30 Abnormal tradingsuspected 5% of units in a series of transactions
269-35 Abnormal trading20% of units traded, issued or redeemed over 60 day period
269-40 Abnormal trading50% stake not maintained
269-45 Time at which trustee to have knowledge or suspicion
269-47 Abnormal trading where holding trust
Holding trust and subsidiary trust
Abnormal trading causing or ending holding-subsidiary relationship
Abnormal trading while holding-subsidiary relationship exists
269-49 No abnormal trading where proportionate issue of units
More than a 50% stake in income
More than a 50% stake in capital
269-55 Passing the 50% stake test
269-65 Test year distribution of income or capital
Test year distribution of income
Trigger year
Test year distribution of capital
269-70 When individual receives different percentages
269-75 Incomplete distributions
269-80 Where individual's death or marriage breakdown
269-85 Arrangements to pass pattern of distributions test
Basic meaning
Replacement group after death etc.
Consequences of subsection (2)
Deemed absence of control
Group
Basic meaning
Relevance of being a trust
First exception
Second exception
Third exception
A trust may be prevented from making any use of deductions, or full use of deductions in an income year, if a scheme to take advantage of the deductions exists.
270-10 Schemes to take advantage of deductions
Basic case
Note: The benefit may constitute all or any of the scheme assessable income.
Note: The benefit may constitute all or any of the deduction.
Special case
270-15 Tax consequences of schemes
270-20 Benefit
270-25 Outsider to trust
Outsider to family trust
Outsider to non-family trust
Basically, if:
* the trustee of a trust
makes a family trust election; or
* a company, the partners in a partnership
or the trustee of a trust makes an election to be included in a family group
in relation to a family trust;
and the company, partnership or trust
concerned confers a present entitlement to, or distributes, income or capital
other than upon or to a specified individual or members of his or her family
group, a special tax is payable on the conferral or distribution.
If certain
persons do not provide information about conferrals of present entitlements or
distributions by non-residents connected with them, the persons may become
liable to the special tax on their own conferrals or distributions.
If
certain non-residents do not pay the special tax by the due date, other
persons connected with them may also become liable to pay a special tax equal
to the unpaid amount.
271-10 Family trust distribution tax
271-15 Tax liability where family trust makes distribution etc. outside family group
271-20 Tax liability where interposed trust makes distribution etc. outside family group
271-25 Tax liability where interposed partnership makes distribution etc. outside family group
271-30 Tax liability where interposed company makes distribution outside family group
271-35 Avoidance of double-counting
271-40 Exclusion of directors from liability to pay tax
Director not taking part in distribution decision
Director taking part in distribution decision
271-45 Requirements for section 271-55 notice to family trust
Notice about non-resident distributions
First requirement
Second requirement
Third requirement
271-50 Requirements for section 271-55 notice to interposed entity
Notice about non-resident distributions
First requirement
Second requirement
Third requirement
271-55 Notice requiring information about non-resident distributions etc.
Information required
Entities covered
Information not within knowledge
Period for giving information
Company's liability
Partners' liability
Trustee's liability
271-60 Tax liability where non-resident family trust's tax unpaid
Conditions for tax liability
Tax liability
Persons liable under paragraph (2)(b)
Trust mentioned in paragraph (3)(a)
271-65 Tax liability where non-resident interposed entity's tax unpaid
When section applies
Determination about unpaid tax
Consequences
Persons covered
Entities making election and distribution etc.
Eligible entities
271-70 Reduction of liability where tax paid
271-75 Payment of family trust distribution tax
Tax under sections 271-15 to 271-30
Tax under section 271-55
Tax under section 271-60 or 271-65
Debt due
271-80 Additional tax for late payment
Remission of additional tax
Remission criteria
Remission criteria
Remission criteria
Effect of court judgment

271-85 Recovery of tax
271-90 Notice of liability
Notice for purposes of section 271-15 etc.
Notice for purposes of section 271-60 or 271-65
Effect of notice on liability etc.
Amendment of notice
Inconsistency between notices
Objections
271-95 Request for notice of liability
Compliance with request for subsection 271-90(1) notice
Compliance with request for subsection 271-90(2) notice
Further information
Failure to give information
271-100 Evidentiary effect of notice of liability
271-105 Income tax exemption for amounts subject to family trust distribution tax

Case where interest not defeasible
Deemed fixed entitlement
272-10 Fixed entitlement to share of income or capital of a company
272-15 Fixed entitlement to share of income or capital of a partnership
Deemed fixed entitlement
272-20 Fixed entitlement to share of income or capital held indirectly
272-25 Special cases of fixed entitlements held directly or indirectly
Coverage of section
Certain interposed government bodies and special companies
To find out the meaning of government body and special company : see section 272-140.
Certain interposed funds
To find out the meaning of complying superannuation fund and complying
approved deposit fund : see section 272-140.
To find out the meaning of
foreign superannuation fund : see subsection 6(1).
Government bodies, and funds or companies with more than 50 members
Funds or companies with 50 members or fewer
Mixed application of subsections (4) and (5) in certain provisions
Entities ceasing to be special companies
the Commissioner considers it fair and reasonable to treat one or more of the persons who were members of the special company immediately after it ceased to be a special company as having held the fixed entitlement mentioned in subsection (2) during the whole or part of the special company period;
Matters for the purposes of paragraph (7)(c)
272-30 Additional special cases of fixed entitlements held directly or indirectly
Coverage of section
Interposed family trusts
Interposed listed public companies and widely held unit trusts
To find out the meaning of listed public company : see section 272-135.
Matters for the purposes of paragraph (3)(b)
272-35 Arrangements to pass fixed entitlement tests
272-40 Continued holding of fixed entitlement where death occurs
272-50 Company distribution to shareholder
Distribution of income
Distribution of capital
272-55 Partnership distribution to partner
272-60 Other distributions of income and capital
Limit on distributions
Character of distributions
272-63 Distribute indirectly
272-70 Non-fixed trust
272-80 Family trust election
Nature of election
How election made
Election to specify individual and certain information
Trust must pass family control test
Election generally irrevocable
Revocation case
How revocation takes place
Revocation to specify time
When election in force
Election commencement time
Only one election
272-85 Interposed entity election
Nature of election
How election made
Election to contain information
Family control test must be passed
Election irrevocable
When election in force
Restriction on multiple elections
272-87 Passing the family control test
Trusts
Requirement for purposes of subsection (1)
Companies and partnerships
272-90 Family group
Family member
Trust covered by family trust election
Entity covered by interposed entity election
Entity owned by family
Funds
Certain tax exempt bodies
Institutions etc. where no living beneficiaries
Estate of deceased family
Interests in SMEs
272-95 Family
Child and spouse are defined in subsection 6(1).
272-100 Excepted trust
Basic meaning
Closely heldincome test
Closely heldcapital test
Single individual
Exception
Subdivision 272-GUnlisted widely held trust and listed widely held trust
272-110 Unlisted widely held trust
272-115 Listed widely held trust
Qualifying activity
Extended status
Qualifying holder
Qualifying activity
Subdivision 272-JKind of trust can be affected by ownership by higher
level trust
272-127 Kind of trust can be affected by ownership by higher
level trust
Basic meaning
Exceptions
Meaning of right to receive dividends or distribution of capital indirectly
Meaning of distribute
approved stock exchange has the same meaning as in section 470.
arrangement means any arrangement, agreement, understanding, promise or undertaking, whether express or implied, and whether or not enforceable (or intended to be enforceable) by legal proceedings.
associate has the same meaning as in section 318.
benefit , in Division 270, has the meaning given by section 270-20.
breakdown in the marriage of an individual: this occurs if the individual is living with another individual on a genuine domestic basis as husband or wife (whether legally married or not) and ceases to do so.
complying approved deposit fund means a complying approved deposit fund within
the meaning of section 47 of the Superannuation Industry
complying superannuation fund means a complying superannuation fund within the
meaning of section 45 of the Superannuation Industry
control a non-fixed trust has the meaning given by Subdivision 269-E.
directly or indirectly has a meaning affected by sections 272-25 and 272-30.
distribute income or capital has a meaning affected by sections 272-45, 272-50, 272-55 and 272-60.
excepted trust has the meaning given by section 272-100.
family has the meaning given by section 272-95.
family group has the meaning given by section 272-90.
family trust has the meaning given by section 272-75.
family trust distribution tax has the meaning given by section 271-10.
family trust election has the meaning given by section 272-80.
fixed entitlement has the meaning given by Subdivision 272-A.
fixed trust has the meaning given by section 272-65.
government body means:
income year includes a year of income.
indirectly has a meaning affected by sections 272-20 and 272-63.
interposed entity election has the meaning given by section 272-85.
listed public company has the meaning given by section 272-135.
listed widely held trust has the meaning given by section 272-115.
loss year means the income year in which a tax loss was incurred.
member of a company includes a shareholder, stockholder or holder of a life insurance policy of the company.
more than a 50% stake has the meaning given by section 269-50.
mutual affiliate company has the meaning given by section 121AC.
mutual insurance company has the meaning given by section 121AB.
non-fixed trust has the meaning given by section 272-70.
pass the 50% stake test has the meaning given by section 269-55.
pass the family control test has the meaning given by section 272-87.
pass the pattern of distributions test has the meaning given by section 269-60.
pass the same business test has the meaning given by section 269-100.
pooled superannuation trust means a pooled superannuation trust within the
meaning of section 48 of the Superannuation Industry
scheme has the same meaning as in subsection 177A(1).
special company means:
unlisted very widely held trust has the meaning given by section 272-120.
unlisted widely held trust has the meaning given by section 272-110.
wholesale widely held trust has the meaning given by section 272-125.
widely held unit trust has the meaning given by section 272-105.
2 After section 63F trading in units in a unit trust has the meaning given by section 269-10.
63G Bad debts etc. of trust not allowable in certain circumstances
Schedule 2F may also prevent a taxpayer deducting an amount in respect of a debt in other circumstances.
3 After subsection 79E(2)
4 After subsection 79F(5)
5 Subsection 95(1) (at the end of the definition of net income)
A trust may be required to work out its net income in a special way by Division 266 or 267 of Schedule 2F.
6 Subsection 102D(1) (at the end of the definition of net income)
A corporate unit trust may be required to work out its net income in a special way by Division 266 or 267 of Schedule 2F.
7 Section 102M (at the end of the definition of net income)
A public trading trust may be required to work out its net income in a special way by Division 266 or 267 of Schedule 2F.
8 At the end of subsection 128B(3)
9 After subsection 160AFD(6)
10 Subsection 170(10)
11 After paragraph 170(13)(b)
12 After subsection 262A(4AK)
debt deduction provisions means sections 266-35, 266-85, 266-120, 266-160,
267-25 and 267-65 of the trust loss etc. Schedule.
earlier year loss provisions means sections 266-25, 266-75, 266-110, 266-150
and 267-20 of the trust loss etc. Schedule.
foreign deduction scheme provision means subsection 160AFD(6B) of the
Income Tax Assessment Act 1936 as amended by this Schedule.
foreign loss provision means subsection 160AFD(6A) of the
Income Tax Assessment Act 1936 as amended by this Schedule.
loss provisions means the earlier year loss provisions and the current year
loss provisions.
trust loss etc. Schedule means Schedule 2F to the
Income Tax Assessment Act 1936 as amended by this Schedule.
1995 Budget time means 7.30 pm, by legal time in the Australian Capital
Territory, on 9 May 1995.
1996 Budget time means 7.30 pm, by legal time in the Australian Capital
Territory, on 20 August 1996.
1997 Budget time means 7.30 pm, by legal time in the Australian Capital
Territory, on 13 May 1997.
14 Application of loss provisions from 1994-95 year of income (1) Subject to
this item, the loss provisions, together with any other provisions of the
trust loss etc. Schedule in so far as they relate to the loss provisions,
apply where the income year mentioned in the loss provisions is the 1994-95
year of income or any later year of income. Modified application of earlier
year loss provisions: test period (2) If the test period mentioned in any of
the earlier year loss provisions would begin before 1995 Budget time, it is
taken instead to begin at 1995 Budget time. Modified application of earlier
year loss provisions: non-fixed trust distribution (3) For the purposes of
section 267-20:
Modified application of earlier year loss provisions: non-fixed trust
distribution (4) For the purposes of section 267-20, if:
Modified application of earlier year loss
provisions: non-fixed trust distribution (5) For the purposes of section
267-20, if:
Case where current year loss provisions do not apply (6) If:
the current year loss provisions do not apply to the income year. Modified
application of current year loss provisions (7) If the current year loss
provisions apply where the income year mentioned in those provisions is the
1994-95 year of income, they apply as if:
15 Application of debt deduction provisions from 1996-97 year of income (1)
Subject to this item, the debt deduction provisions, together with any other
provisions of the trust loss etc. Schedule in so far as they relate to the
debt deduction provisions, apply where the income year mentioned in the debt
deduction provisions is the 1996-97 year of income or any later year of
income. Modified application: test period (2) If the test period mentioned
in any of the debt deduction provisions would begin before 1996 Budget time,
it is taken instead to begin at 1996 Budget time. Modified application:
non-fixed trust distribution (3) For the purposes of section 267-25, if the
income year mentioned in that section is the 1996-97 year of income, the
condition in subsection 267-30(2) applies as if there were an additional
requirement in section 269-60 for at least part of one of the test year
distributions of income or capital, as the case requires, mentioned in that
section to have taken place after 1996 Budget time. Modified application:
non-fixed trust distribution (4) For the purpose of section 267-25, if:
Modified application: non-fixed trust
distribution (5) For the purposes of section 267-25, if the income year
mentioned in that section is the 1996-97 year of income and it ends on or
before 1 October 1997, the following modifications of other provisions
apply:
16 Application of scheme provisions from 1994-95 year of income
17 Application of expanded definition of distribution 18
Application of new section 63G 19
Application of foreign loss provision from 1996-97 year of income (1) Subject
to this item, the foreign loss provision applies where the particular year of
income mentioned in that provision is the 1996-97 year of income or any later
year of income. Modified application: test period (2) If, for the purposes
of the foreign loss provision, the test period mentioned in any of the earlier
year loss provisions would begin on or before 1 October 1997, it is taken for
that purpose to begin on 2 October 1997 Modified application: non-fixed
trust distribution (3) If, for the purposes of the foreign loss provision,
the income year mentioned in subsection 267-30(2) is the 1996-97 year of
income, the condition in that subsection applies as if there were an
additional requirement in section 269-60 for at least part of one of the test
year distributions of income or capital, as the case requires, mentioned in
that section to have taken place after 1 October 1997. Modified application:
non-fixed trust distribution (4) If, for the purposes of the foreign loss
provision:
Modified application: non-fixed trust
distribution (5) For the purposes of the foreign loss provision, if the
income year mentioned in that section is the 1996-97 year of income and it
ends on or before 1 October 1997, the following modifications of other
provisions apply:
20 Application of foreign deduction scheme provision from 1996-97 year of
income
21 Application of amendments of subsections 170(10) and 170(13) 22 Transitionalfamily trust
elections (1) Subject to this item, a family trust election that is proposed
to be made cannot specify a year of income under subsection 272-80(1) of the
trust loss etc. Schedule that is before the 1997-98 year of income.
If it does so,
the trust concerned will, under subsection 272-80(5) of the trust loss etc.
Schedule, be a family trust at all times after the beginning of the earlier
year of income. (3) If a family trust election can, in accordance with this
item, specify the 1997-98 year of income or an earlier year of income:
(4) If a family trust election is made in accordance with subitem (3)
specifying the 1997-98 year of income or an earlier year of income:
(5) If the family trust election does specify an earlier year of income in
accordance with subitem (2), no liability to pay family trust distribution tax
arises under Division 271 of the trust loss etc. Schedule in respect of a
conferral of a present entitlement to, or a distribution of, income or capital
that took place:
(6) If the revocation of a family trust election is proposed to specify a time
under subsection 272-80(8) that is before the beginning of the 1998-99 year of
income, then:
23 Transitionalinterposed entity elections (1) Subject to this item, an
interposed entity election cannot specify a year of income under subsection
272-85(1) of the trust loss etc. Schedule that is before the 1997-98 year of
income.
(3) If an interposed entity election can, in accordance with this item,
specify a day in the 1997-98 year of income or a day in an earlier year of
income:
(4) If an interposed entity election is made in accordance with subitem (3)
specifying a day in the 1997-98 year of income or a day in an earlier year of
income:
24 Transitionaljointly held trusts (1) This item applies if, apart from
the item, the condition in section 266-40 of the trust loss etc. Schedule
would not be met by a trust.
(3) If:
25 Transitionalschemes to take
advantage of deductions (1) This item modifies the effect of Division 270 of
the trust loss etc. Schedule where the trust mentioned in paragraph
270-10(1)(a) of that Schedule is a family trust.
26
Transitionaldefinition of family The family of an
individual (the test individual ) consists of all of the following (if
applicable):
current year loss provisions means
sections 266-30, 266-80, 266-115, 266-155 and 267-60 of the trust loss etc.
Schedule.
mentioned in subsection 267-30(2), the whole or part of any of the test year
distributions of income or capital (whether taking place before or after 1995
Budget time), required to be taken into account in determining whether the
trust meets the condition in subsection 267-30(2), was made directly or
indirectly to an individual, for his or her own benefit; and
mentioned in subsection 267-30(2), the whole or part of any of the test year
distributions of income or capital (whether taking place before or after 1996
Budget time), required to be taken into account in determining whether the
trust meets the condition in subsection 267-30(2), was made, directly or
indirectly to an individual, for his or her own benefit; and
mentioned in subsection 267-30(2), the whole or part of any of the test year
distributions of income or capital (whether taking place before, on or after 1
October 1997), required to be taken into account in determining whether the
trust meets the condition in subsection 267-30(2), was made directly or
indirectly to an individual, for his or her own benefit; and
(2) If:
(2) If:
(2) If:
at the start of the following period (the qualifying period ):
(2) If:
27 Subsection 25-35(5) (at the end of the table)
| 4 | Certain trusts
cannot deduct a bad debt if there has been a change in ownership or control or
an abnormal trading in their units | Divisions 266 and 267 of Schedule 2F |
28 At the end of section 36-25
| Tax losses of trusts | ||
| Item | For the
special rules about this subsection... | See: |
| 1. | A trust has had a change
of ownership or control or there has been an abnormal trading in its units: * if this happens in the income year, it works out its net income and tax loss in a special way; or * if this happens at any time from the start of a loss year until the end of the income year, it cannot deduct a tax loss from the loss year. This will not be the case if the trust is an excepted trust. However, if it became one by making a family trust election, a special tax may be payable on certain distributions and other amounts. | Divisions 266, 267 and 268 of Schedule 2F to
the Income Tax Assessment Act 1936 |
| 2. | A trust is involved in a scheme to
take advantage of deductions. The trust may be prevented from making full use
of them. | Division 270 of Schedule 2F to the Income Tax Assessment Act 1936
|
29 Subsection 995-1(1) (after paragraph (a) of the definition of film component of a tax loss)
Note: The meaning of film component of a tax loss given by section 375-805 of this Act is affected by section 268-65 of Schedule 2F to the Income Tax Assessment Act 1936 .
30 Subsection 995-1(1) (after paragraph (a) of the definition of tax loss)
Note: The meaning of tax loss in section 36-10 is affected by section 268-60 of Schedule 2F to the Income Tax Assessment Act 1936 .
31 Section 136 (at the end of the definition of fringe benefit)
32 Application
Part 4
Superannuation Contributions Tax (Assessment and Collection) Act 1997
33
Section 43 (after paragraph (a) of the definition of adjusted taxable income)
34 Application