ATO logo

Appendix 26: Reason deduction disallowed less than importing payment

Use Appendix 26 to find the hybrid mismatch reason the deduction disallowed was less than importing payment type codes.

Published 31 May 2026

Table: Reason type codes for differences

Code

Codes for differences

1

The offshore hybrid mismatch is less than the amount of the otherwise deductible importing payments, and the offshore hybrid mismatch has been wholly neutralised by deductions disallowed under section 832-610 of the ITAA 1997

2

The offshore hybrid mismatch was neutralised, in whole or in part, by a foreign importing payment with higher priority under subsection 832-615(2) of the ITAA 1997

3

The offshore hybrid mismatch was neutralised, in whole or in part, by a foreign importing payment with equal priority under subsection 832-615(2) of the ITAA 1997

4

The payments are excluded from the definition of an importing payment under subparagraph 832-625(3)(b)(i) of the ITAA 1997 as it was made through an interposed entity which is subject to foreign hybrid mismatch rules

5

The payments are excluded from the definition of an importing payment under subparagraph 832-625(3)(b)(ii) of the ITAA 1997 as an interposed payment gave rise to a deduction/non-inclusion mismatch

6

The amount of foreign income tax deductions for any interposed payments, were less than the amount of importing payments

7

The deductions disallowed equals the amount of the otherwise deductible importing payments, including where both are nil

8

Other

Continue to: Appendix 27: Reason why the DDCR are not applicable to you

Return to: Appendixes for the IDS


QC107319