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Foreign income return form guide 2010-11

 
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Warning: This information may not apply to the current year. Check the content carefully to ensure it is applicable to your circumstances.

CFC Attribution account surpluses

Under consolidation, only the head company can operate attribution accounts for the purposes of the CFC measures.

Subsidiary members (in this case, companies) transfer the pre-consolidation balances of their attribution accounts to the head company, on formation or when the company joins the consolidated group or MEC group, to facilitate its use of any pre-consolidation surpluses during consolidation.

The attribution account surpluses are transferred to the head company so that, to the extent that income had previously been attributed to the member entity, subsequent distributions of income from an attribution entity (for example, a CFC, that had previously been attributed to the member entity) are not assessed to the head company.

Once the account balances have been transferred to the head company of a consolidated group or MEC group, the attribution accounts of subsidiary members become inoperative during the period the entity is a member of the consolidated group or MEC group.

When a company with an interest in a CFC leaves a group, a proportion of the attribution account surpluses that the head company has in relation to the interests in the CFC that leave the group with the leaving company will be transferred to the leaving company.

Sections within Chapter 6: Consolidation (consolidated income tax treatment for groups of entities)

Last Modified: Wednesday, 29 June 2011

 
Table of contents
About this guide
Abbreviations and glossary
Chapter 1: Attribution of the current year profits of a controlled foreign company (CFC)
Chapter 2: Transferor trust and related measures
Chapter 3: Taxation of foreign dividends and branch profits
Chapter 4: Taxation of foreign investment fund (FIF) interests
Chapter 5: Proving your assessment
Chapter 6: Consolidation (consolidated income tax treatment for groups of entities)
More information
Appendix 1 - Foreign income regulations
Appendix 2 - Accruals taxation on the change of residence of a controlled foreign company (CFC) from an unlisted country to a listed country or to Australia
Appendix 3 - Summaries and worksheets
How self-assessment affects you
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