INCOME TAX ASSESSMENT ACT 1997
There is a roll-over for a *depreciating asset if:
(a) the asset is attached to land you hold under a *quasi-ownership right granted by an *exempt Australian government agency or an *exempt foreign government agency; and
(b) you *hold the asset because of section 40-40 ; and
(c) the quasi-ownership right expires or is terminated or you surrender it; and
(d) you are granted a new quasi-ownership right over the land or an estate in fee simple in the land; and
(e) there is no roll-over for you under Subdivision 124-J (about Crown leases) or Subdivision 124-L (about prospecting and mining entitlements).
The roll-over consequences are set out in Subdivision 124-A .
This section provides a roll-over for a depreciating asset in the limited circumstances where Subdivision 124-J cannot because a quasi-ownership right over land covers situations that a Crown lease does not (for example, an easement over land).
If there has been a capital improvement to the quasi-ownership right: see section 108-75 .