Income Tax Assessment Act 1997

CHAPTER 3 - SPECIALIST LIABILITY RULES  

PART 3-3 - CAPITAL GAINS AND LOSSES: SPECIAL TOPICS  

Division 125 - Demerger relief  

Subdivision 125-B - Consequences for owners of interests  

Operative provisions

SECTION 125-85   Cost base adjustments where CGT event happens but no roll-over chosen  

125-85(1)  
You must adjust the *cost base and *reduced cost base of an *ownership interest you own in a company or trust if:


(a) a *demerger happens to a *demerger group of which the company or trust is a member; and


(b) you owned an original interest in the *head entity of the demerger group just before the demerger; and


(c) a *CGT event happens to the original interest and you *acquire a new interest under the demerger; and


(d) you do not choose a roll-over under this Subdivision for the original interest.

125-85(2)  
The adjustments you must make are the same as the adjustments you would have to make under section 125-80 for the *cost bases and *reduced cost bases of the remaining original interests and new interests just after the *CGT event if you could have chosen a roll-over under this Subdivision for the *demerger and you had done so.


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