ATO Interpretative Decision

ATO ID 2006/147

Income tax

Consolidation: Special conversion event - application of sections 701-15 and 701-50
FOI status: may be released
  • History note: The decision in this ATO ID will only apply to a special conversion event that happened before 27 October 2006 and the head company of the group did not make a choice, within the prescribed time, to apply Subdivision 719 BA of the Income Tax Assessment Act 1997 (ITAA 1997) to the special conversion event.
    This ATO ID has been amended to reflect the changes to paragraph 719-40(1)(e) of the ITAA 1997 and the introduction of section 719-78 of the ITAA 1997.
    The amendments to this ATO ID do not affect the answer to the issue raised in this ATO ID.
    Date of amendment: 03.06.2010

CAUTION: This is an edited and summarised record of a Tax Office decision. This record is not published as a form of advice. It is being made available for your inspection to meet FOI requirements, because it may be used by an officer in making another decision.

This ATOID provides you with the following level of protection:

If you reasonably apply this decision in good faith to your own circumstances (which are not materially different from those described in the decision), and the decision is later found to be incorrect you will not be liable to pay any penalty or interest. However, you will be required to pay any underpaid tax (or repay any over-claimed credit, grant or benefit), provided the time limits under the law allow it. If you do intend to apply this decision to your own circumstances, you will need to ensure that the relevant provisions referred to in the decision have not been amended or repealed. You may wish to obtain further advice from the Tax Office or from a professional adviser.

Issue

Do sections 701-15 and 701-50 of the Income Tax Assessment Act 1997 (ITAA 1997) apply to set the tax cost of membership interests in entities that cease to be subsidiary members of a consolidated group due to that group ceasing to exist when a special conversion event happens under section 719-40 of the ITAA 1997 in relation to it?

Decision

Yes. Sections 701-15 and 701-50 of the ITAA 1997 apply to set the tax cost of membership interests when entities cease to be subsidiary members of a consolidated group due to that group ceasing to exist when a special conversion event happens under section 719-40 of the ITAA 1997 in relation to it.

Facts

H Co, an Australian resident, is the head company of a consolidated group and is an eligible tier-1 company of the top company, X Co. On 1 January 2004, X Co acquires all of the membership interests in two other Australian resident companies, A Co and B Co, in a way that they both become eligible tier-1 companies of X Co at the same time. A Co and B Co are not members of a multiple entry consolidated group (MEC group) just before being acquired by X Co. Immediately after the acquisition, neither A Co nor B Co beneficially owns any membership interests in H Co, nor does any other member of the potential MEC group.

H Co makes a choice in writing under paragraph 719-40(1)(e) of the ITAA 1997 specifying A Co and B Co have become eligible tier-1 companies and stating that a MEC group is to come into existence as a result of A Co and B Co becoming eligible tier-1 companies of X Co.

H Co, when lodging its income tax return for the 2003-2004 income year in October 2004, informs the Commissioner the details of its choice, in the approved form, as required by section 719-78 of the ITAA 1997.

The MEC group comes into existence on 1 January 2004 and comprises the potential MEC group derived from H Co and its wholly-owned subsidiaries, and the other eligible tier-1 companies, A Co and B Co. H Co is the provisional head company of the MEC group.

Note: Changes in relation to making a choice (paragraph 719-40(1)(e) of the ITAA 1997) for a special conversion event and notifying the Commissioner of the special conversion event in the approved form (section 719-78 of the ITAA 1997) were introduced by Tax Laws Amendment (2010 Measures No.1) Act 2010 (Act No. 56 of 2010). The changes apply from 1 July 2002, unless a choice to apply the changes from 10 February 2010 is made, within the prescribed time, by the head company of the group.

Reasons for Decision

When the head company of a consolidated group becomes a member of a MEC group as a result of a special conversion event, the group ceases to exist by operation of paragraph 703-5(2)(b) of the ITAA 1997. The subsidiary members of the consolidated group cease to be members of the group.

Sections 701-15 and 701-50 of the ITAA 1997 apply to set the tax cost of membership interests in those entities which cease to be subsidiary members of a consolidated group.

Subsection 701-15(3) of the ITAA 1997 provides that the tax cost of each membership interest the head company of the consolidated group holds in an entity that ceases to be a subsidiary member of the consolidated group, is set just before the entity ceases to be a subsidiary member of the consolidated group, at the membership interest's tax cost setting amount.

Section 701-50 of the ITAA 1997 applies to set the tax cost of membership interests that one subsidiary member holds in another member of the consolidated group, where both entities leave the consolidated group at the same time because of an event that happens to one of them.

Date of decision:  17 May 2006

Year of income:  Year ended 30 June 2005

Legislative References:
Income Tax Assessment Act 1997
   section 701-15
   subsection 701-15(3)
   section 701-50
   subsection 703-5(2)(b)
   section 719-40
   paragraph 719-40(1)(e)
   section 719-78

Related ATO Interpretative Decisions
ATO ID 2006/145
ATO ID 2006/146
ATO ID 2006/147
ATO ID 2006/148

Keywords
Consolidation
Consolidation - consolidated group
Consolidation - exiting
Consolidation - multiple entry consolidated group
Cost of membership interests
Cost setting rules
Eligible tier-1 company
Provisional head company
Special conversion event
Subsidiary member of a consolidated group
Choice to form

Siebel/TDMS Reference Number:  5251183

Business Line:  Consolidation Centre of Expertise

Date of publication:  9 June 2006

ISSN: 1445-2782