Income Tax Assessment Act 1997
Application
112-160(1)
This section applies in relation to a * CGT asset of yours if, under paragraph 112-155(2)(a) , you make: (a) a * capital gain (the initial notional gain ); or (b) a * capital loss (the initial notional loss );
in respect of the asset (disregarding subsection (2) of this section).
Note:
The initial notional gain or loss is made from the sale that is taken to happen at the end of 30 June 2027 (see paragraph 112-155(2)(a) ), and is disregarded under subsection (2) of this section.
Disregard the initial notional gain or loss because it is to be deferred
112-160(2)
Disregard the initial notional gain or the initial notional loss, except for the purposes of subsection (3) or (4) .
Deferring an initial notional gain
112-160(3)
If you made an initial notional gain, then for the purposes of Division 102 : (a) in the income year in which the * realisation event happens in relation to the * CGT asset - you are treated as having made a * capital gain ( your deferred gain ):
(i) for the * CGT event that happens under paragraph 112-155(2)(a) (the deemed CGT event ); and
(ii) that is a * discount capital gain if the initial notional gain is a discount capital gain; and
(b) disregard section 102-20 in relation to your deferred gain; and (c) for the purposes of subparagraph (a)(ii) of this subsection, in working out whether the initial notional gain is a discount capital gain, treat the deemed CGT event as if it happens on the day the realisation event happens; and (d) in working out whether, under step 6 of the method statement in subsection 102-5(1) , your deferred gain qualifies for any of the small business concessions, treat the deemed CGT event as if it happens on the day the realisation event happens.
(iii) that is equal to the amount of the initial notional gain; and
Note 1:
For paragraph (a) , the realisation event is the CGT event referred to in paragraph 112-155(1)(c) .
Note 2:
Paragraph (c) is relevant for working out whether the 12-month rule in subsection 115-25(1) is satisfied for the initial notional gain.
Note 3:
If the initial notional gain is a discount capital gain, then under step 5 of the method statement in subsection 102-5(1) , the 50% discount mentioned in paragraph 115-100(aa) can apply to your deferred gain.
Deferring an initial notional loss
112-160(4)
If you made an initial notional loss, then for the purposes of Division 102 : (a) in the income year in which the * realisation event happens in relation to the * CGT asset - you are treated as having made a * capital loss ( your deferred loss ) equal to the amount of the initial notional loss; and (b) disregard section 102-20 in relation to your deferred loss.
Note:
You may make a separate capital loss from the realisation event for the period starting on 1 July 2027. In working out whether you make a capital loss from the realisation event for this period, you are taken to have acquired the CGT asset at the time, and for the amount, mentioned in paragraph 112-155(2)(b) .
Working out whether concessions are available for a capital gain from the realisation event
112-160(5)
In working out when you * acquired the * CGT asset for the purposes of working out whether your * capital gain resulting from the * realisation event is a * discount capital gain, disregard the sale and acquisition under subsection 112-155(2) .
Note:
If you make a capital gain from the realisation event in respect of the asset, this subsection is relevant for working out whether the 12-month rule in subsection 115-25(1) is satisfied for the capital gain.
112-160(6)
In working out whether, under step 6 of the method statement in subsection 102-5(1) , your * capital gain resulting from the * realisation event qualifies for any of the small business concessions, disregard the sale and acquisition under subsection 112-155(2) .
Note:
Subsections (5) and (6) refer to the capital gain from the realisation event for the period starting on 1 July 2027. The sale and reacquisition under subsection 112-155(2) remain relevant for working out the amount of this capital gain, just not for whether this capital gain:
This information is provided by CCH Australia Limited Link opens in new window. View the disclaimer and notice of copyright.
View history note
Hide history note