Show at D the amount of attributed foreign income from FIFs and FLPs.
The terms FIF and FLP have the same meaning as set out in sections 481 and 482 respectively of Part XI of the ITAA 1936.
Attributed income of a FIF or FLP is the income attributed to the taxpayer from FIFs or FLPs, calculated in accordance with Part XI of the ITAA 1936.
If any attributed income is included at A, B, C or D item 14, complete section B of Schedule 25A 2010, together with any other relevant section or schedule, and lodge them as part of the tax return.
Certain qualifying superannuation entities, fixed trusts and assets of life insurance companies are exempt from the FIF rules. There are a number of specific FIF exemptions including income from the management of funds and 10% balanced portfolios.
For more information on the exemptions and calculation of the amounts to be reported at:
- A, B, or C, see the Foreign income return form guide 2009-010
- D, see the Foreign investment funds guide 2009-2010.