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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.

Chapter 1: Attribution of the current year profits of a controlled foreign company (CFC)

This chapter explains the accruals tax system for residents with interests in foreign companies.

The accruals tax system applies to Australian residents who have a substantial interest in a foreign company controlled by Australians, referred to as a CFC. The system operates to include a taxpayer's share of specified income and gains of a CFC in the taxpayer's assessable income. This is called attribution. Subject to some modifications, the income and gains of CFCs are worked out using the same tax rules that apply for residents.

Part 1

Are you subject to the CFC measures?

Part 2

Is the CFC largely exempt because it is primarily engaged in a genuine active business?

Part 3

Working out attributable income and the amount to include in your assessable income

Sections within Chapter 1: Attribution of the current year profits of a controlled foreign company (CFC)

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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