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14. Foreign income and net assets

Last updated 12 February 2019

A Attributed foreign income – listed country

Show at A the amount of attributed foreign income from controlled foreign entities and transferor trusts in listed countries. Listed countries are set out in Part 1 of Schedule 10 to the Income Tax Regulations 1936 (ITR 1936).

Attributed foreign income includes the income attributed to the taxpayer from controlled foreign companies, calculated in accordance with Division 7 of Part X of the ITAA 1936, and includes amounts grossed up under section 392 of the ITAA 1936, as appropriate, to the extent of any foreign or Australian taxes paid.

Attributed foreign income from transferor trusts is the total amount of income attributed to the taxpayer from a transferor trust that is a listed country trust estate (as defined in section 102AAE of the ITAA 1936), calculated in accordance with Subdivision D of Division 6AAA of Part III of the ITAA 1936, and reduced under section 102AAU(1)(d) of the ITAA 1936, as appropriate, to the extent of any foreign or Australian taxes paid.

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