INCOME TAX ASSESSMENT ACT 1936 (ARCHIVE)
[ CCH Note: Note that there is a second Subdiv CA, comprising s 160AQCNCA to 160AQCNCE, that appears later in this Division.]
This section does not apply to a franking credit if section 160AQCNCF (transitional provision for late balancing life assurance company for 1999-2000 year of income) applies to the franking credit.
If, on a particular day, a franking credit of a life assurance company arises under section 160APQB in relation to a payment of an excess amount in respect of a foreign tax credit allowable in relation to a year of income, there arises on that day whichever of the following is applicable:
(a) if the year of income is the 1992-93 year of income or an earlier year of income - a class A franking debit of the company worked out under subsection (2) of this section;
(b) if the year of income is the 1993-94 year of income or the 1994-95 year of income - a class B franking debit of the company worked out under subsection (2) of this section;
(c) if the year of income is the 1995-96 year of income or a later year of income - a class C franking debit of the company worked out under subsection (2) of this section.
The amount of the franking debit is equal to the adjusted amount in relation to the amount calculated using the formula:

where:
`` Statutory factor '' means:
(a) in the case of a class A franking debit - 0.8; or
(b) in the case of a class B franking debit or a class C franking debit - 1.0;
`` Excess amount '' means the amount of the excess;
`` Standard component of excess amount '' means so much of the excess amount as is attributable to the standard component in relation to the year of income.
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