Taxation (Multinational - Global and Domestic Minimum Tax) Rules 2024
Subsection (2) applies if a Constituent Entity of an Applicable MNE Group for a Fiscal Year is located in Australia.
2-45(2)
The Constituent Entity has a UTPR Top-up Tax Amount for the Fiscal Year if: (a) the Total UTPR Top-up Tax Amount for the Applicable MNE Group for the Fiscal Year is greater than zero; and (b) an amount of the Total UTPR Top-up Tax Amount is allocated to Australia under section 2-60 ; and (c) an amount of that allocated amount is distributed to the Constituent Entity under section 2-70 .
2-45(3)
Subsection (4) applies if: (a) a Constituent Entity for a Fiscal Year of an Applicable MNE Group for the Fiscal Year is a Permanent Establishment of a Main Entity; and (b) the Constituent Entity is located in Australia for the Fiscal Year; and (c) the Main Entity is not located in Australia for the Fiscal Year.
2-45(4)
If, disregarding this subsection, the Constituent Entity has a UTPR Top-up Tax Amount for the Fiscal Year: (a) despite subsection (2) , the Constituent Entity does not have a UTPR Top-up Tax Amount for the Fiscal Year; and (b) the Main Entity has a UTPR Top-up Tax Amount for the Fiscal Year.
2-45(5)
For the purposes of subsections (2) and (4) , the UTPR Top-up Tax Amount is equal to the amount distributed to the Constituent Entity as mentioned in paragraph (2)(c) .
2-45(6)
To avoid doubt, if the Constituent Entity is an Investment Entity or Insurance Investment Entity, it does not have a UTPR Top-up Tax Amount for the Fiscal Year.
Note 1:
Under the formula in subsection 2-70(3) , an amount of the Australian allocated amount will not be distributed to such a Constituent Entity (see section 2-85 ).
Note 2:
If the Constituent Entity is Securitisation Entity, it will not have a UTPR Top-up Tax Amount for the Fiscal Year unless the only Constituent Entities of the MNE Group that are located in its jurisdiction are Securitisation Entities (see paragraph 2-85(2)(c) ).
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