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Chapter 3: Exemptions

Last updated 3 February 2010

To allow the FIF measures to focus on cases that provide the greatest opportunity for deferral of Australian tax, there are a number of exemptions from FIF taxation:

  • attributable taxpayers under the CFC or the transferor trust measures
  • an interest in an active business
  • an interest in a foreign bank
  • an interest in a foreign holding company of a foreign bank
  • an interest in a foreign life insurance company
  • an interest in a foreign holding company of a foreign life insurance company
  • an interest in a foreign general insurance company
  • an interest in a foreign holding company of a foreign general insurance company
  • an interest in a foreign company engaged in certain real property activities
  • an interest in a foreign holding company of a foreign company engaged in certain real property activities
  • an interest of $50,000 or less
  • temporary residents
  • an interest in an employer-sponsored foreign superannuation fund
  • an interest in a FIF that is trading stock
  • an interest in a foreign company principally engaged in several activities
  • an interest in a foreign holding company of a foreign mixed activity company
  • an interest in a premium trust fund by an underwriting member of Lloyd's
  • a balanced investment portfolio in FIFs
  • an interest in certain FIFs resident in the United States
  • complying Australian superannuation entities and interests in certain assets of life insurance companies and certain fixed trusts.

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