An exemption is available for your FIF interests in:
- an entity that is treated as a corporation and is subject to trust on its worldwide income, and
- a company or trust that is treated as a regulated investment company or real estate investment trust for the purposes of the United States internal revenue code 1986.
Subject to the conditions outlined below, an exemption is available for your FIF interests in:
- a limited partnership or a limited liability company formed under a United States law or United States State law, and
- a common trust fund recognised under the United States internal revenue code 1986.
Note: 'Entity' in the following text refers to limited partnerships, limited liability companies and common trust funds.
Your FIF interests in the entity are exempt if:
- your interest in the entity is held for the sole purpose of investing in
- a business conducted in the USA, or
- real property located in the USA, and
- the entity does not
- have an interest in income or gains from non-USA sources
- hold an interest in a FIF not resident in the USA, or
- hold real property outside the USA.
Alternatively, your FIF interests in the entity are exempt where:
- the entity's interests in
- income or gains from non-USA sources
- non-USA FIFs, and
- non-USA real property
does not exceed 5% of the total value of all interests held by the entity in other entities, and
- the value of assets held by the entity that
- produce income from sources outside the USA, or
- if disposed of would give rise to a gain from a source outside the USA
- does not exceed 5% of the value of assets held by the entity.
Use the entity's accounting records to determine the values of FIF interests and assets when considering whether this condition for exemption is satisfied.
You can also qualify for this exemption when determining FIF income under the calculation method. The amendments to the calculation method apply to assessments for income years ending on and after 2 July 1998. [section 513.]