Income Tax Assessment Act 1997
SECTION 715-250 If head company has had an alteration time but ownership and control of leaving entity have not altered since 715-250(1)
This section applies if:
(a) at least one * alteration time has occurred in relation to the * head company of the * consolidated group since the formation time and before the leaving time; and
(b) the leaving time is not an * alteration time for the leaving entity under subsection 715-245(2) .
715-250(2)
The leaving time is an alteration time for the leaving entity.
715-250(3)
However, for the purposes of determining when the leaving entity's next * alteration time happens, the reference time under subsection 165-115L(2) or 165-115M(2) is the time just after the most recent alteration time for the * head company before the leaving time.
715-250(4)
The leaving entity is a loss company at the leaving time if, and only if, the * head company would have had an * adjusted unrealised loss at the most recent * alteration time (the head company alteration time ) for the head company before the leaving time if that adjusted unrealised loss (if any) were worked out on the basis that:
(a) the head company chooses whether the * individual asset method or the * global method is used; and
(b) a * CGT asset is taken into account only if:
(i) the head company owned it at the head company alteration time; and
(ii) it becomes a CGT asset of the leaving entity at the leaving time because subsection 701-1(1) (the single entity rule) ceases to apply to the entity; and
(c) if the individual asset method is used, then for the purposes of:
(i) step 1 of the method statement in subsection 165-115U(1) ; and
the head company had no earlier alteration time.
(ii) the method statement in subsection 165-115W(1) ;
715-250(5)
If the leaving entity is a * loss company at the leaving time, its overall loss at that time is the * adjusted unrealised loss worked out under subsection (4).
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