Taxation (Multinational - Global and Domestic Minimum Tax) Rules 2024
Subsections (2) and (3) apply if: (a) there is an acquisition or disposal of a Controlling Interest in a Constituent Entity (the target ); and (b) the following jurisdiction treats that acquisition or disposal in the same or similar manner as an acquisition or disposition of the assets and liabilities of the target:
(i) unless subparagraph (ii) applies - the jurisdiction in which the target is located;
(c) that jurisdiction imposes a Covered Tax on the person disposing of the Controlling Interest based on the difference between:
(ii) if the target is a Tax Transparent Entity - the jurisdiction in which those assets are located; and
(i) the tax basis of those assets and liabilities; and
(ii) the consideration paid in exchange for the Controlling Interest, or the fair value of the assets and liabilities.
6-50(2)
Division 1 of this Part does not apply in relation to the acquisition or disposal of the Controlling Interest.
6-50(3)
For the purposes of this instrument, treat the acquisition or disposal of the Controlling Interest as an acquisition or disposal of the assets and liabilities of the target.
Note:
For acquisitions and disposals of assets and liabilities, see Part 6-3 .
This information is provided by CCH Australia Limited Link opens in new window. View the disclaimer and notice of copyright.