Income Tax Assessment Act 1997
CHAPTER 3
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SPECIALIST LIABILITY RULES
PART 3-5
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CORPORATE TAXPAYERS AND CORPORATE DISTRIBUTIONS
Division 170
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Treatment of certain company groups for income tax purposes
Subdivision 170-A
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Transfer of tax losses within certain wholly-owned groups of companies
Guide to Subdivision 170-A
SECTION 170-1
What this Subdivision is about
A company can transfer a surplus amount of its tax loss to another company so that the other company can deduct the amount in the income year of the transfer. One of the companies must be an Australian branch of a foreign bank, and both companies must be members of the same wholly-owned group.
170-5 | Basic principles for transferring tax losses |
Effect of transferring a tax loss | |
170-10 | When a company can transfer a tax loss |
170-15 | Income company is taken to have incurred transferred loss |
170-20 | Who can deduct transferred loss |
170-25 | Tax treatment of consideration for transferred tax loss |
Conditions for transfer | |
170-30 | Companies must be in existence and members of the same wholly-owned group etc. |
170-32 | Tax loss incurred by the loss company because of a transfer under Subdivision 707-A |
170-33 | Alternative test of relations between the loss company and other companies |
170-35 | The loss company |
170-40 | The income company |
170-42 | If the income company has become the head company of a consolidated group or MEC group |
170-45 | Maximum amount that can be transferred |
170-50 | Transfer by written agreement |
170-55 | Losses must be transferred in order they are incurred |
170-60 | Income company cannot transfer transferred tax loss |
Effect of agreement to transfer more than can be transferred | |
170-65 | Agreement transfers as much as can be transferred |
170-70 | Amendment of assessments |
Australian permanent establishments of foreign financial entities | |
170-75 | Treatment like Australian branches of foreign banks |
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