Income Tax Assessment Act 1997
CHAPTER 3
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SPECIALIST LIABILITY RULES
PART 3-95
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VALUE SHIFTING
An * indirect value shift (see Subdivision 727-B ) has consequences under this Division if, and only if:
(a) the * losing entity is at the time of the indirect value shift a company or trust (except one listed in section 727-125 (about superannuation entities)); and
(b) in relation to either or both of the following:
(c) either or both of sections 727-105 and 727-110 are satisfied; and
(d) no exclusion in Subdivision 727-C applies.•
is a small business entity for each income year that includes any of the IVS period; or
•
would satisfy the maximum net asset value test in section
152-15
throughout the IVS period.
Division 727
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Indirect value shifting affecting interests in companies and trusts, and arising from non-arm
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s length dealings
Subdivision 727-A
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Scope of the indirect value shifting rules
SECTION 727-100
727-100
When an indirect value shift has consequences under this Division
An * indirect value shift (see Subdivision 727-B ) has consequences under this Division if, and only if:
(a) the * losing entity is at the time of the indirect value shift a company or trust (except one listed in section 727-125 (about superannuation entities)); and
(b) in relation to either or both of the following:
(i) the losing entity * providing one or more economic benefits to the gaining entity * in connection with the * scheme from which the indirect value shift results;
the 2 entities are not dealing with each other at * arm ' s length; and
(ii) the gaining entity providing one or more economic benefits to the losing entity in connection with the scheme;
(c) either or both of sections 727-105 and 727-110 are satisfied; and
(d) no exclusion in Subdivision 727-C applies.
Note 1:
The consequences for direct and indirect interests in the losing entity or in the gaining entity are set out in Subdivision 727-F . If those consequences are to be worked out using the realisation time method (under Subdivision 727-G ), there are further exclusions for certain 95 % services indirect value shifts: see section 727-700 .
Note 2:
An indirect value shift does not have consequences for interests in the losing entity or gaining entity owned immediately before the IVS time by an entity that:
See subsection 727-470(2) .