Income Tax Assessment Act 1997
CGT event I2 happens if a trust stops being a * resident trust for CGT purposes.
104-170(2)
The time of the event is when the trust stops being one.
104-170(3)
The trustee needs to work out if it has made a * capital gain or a * capital loss for each * CGT asset that it owned (in the capacity as trustee of the trust) just before the time of the event except one that is * taxable Australian property:
(a) covered by item 1 or 3 of the table in section 855-15 ; or
(b) covered by item 4 of that table because it is an option or right to * acquire a * CGT asset covered by item 1 or 3 of that table.
104-170(4)
The trustee makes a capital gain if the * market value of the asset (at the time of the event) is more than the asset ' s * cost base. The trustee makes a capital loss if that market value is less than the asset ' s * reduced cost base.
104-170(4A)
If the asset is an * indirect Australian real property interest, or an option or right to acquire such an interest, this Part and Part 3-3 apply to the asset as if the first element of the * cost base and * reduced cost base of the asset (just after the time of the event) were its * market value at the time of the event.
104-170(4B)
Subsection (4A) does not apply if the * capital gain or * capital loss the trustee makes is disregarded under subsection (5).
Exception
104-170(5)
A * capital gain or * capital loss the trustee makes is disregarded if it * acquired the asset before 20 September 1985.
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