Income Tax Assessment Act 1997
CHAPTER 3
-
SPECIALIST LIABILITY RULES
PART 3-32
-
CO-OPERATIVES AND MUTUAL ENTITIES
This section applies if a *franking debit arises in the *franking account of the *friendly society or a *wholly-owned subsidiary of the society because, on or after the demutualisation resolution day identified under subsection 316-70(4) , the society or subsidiary *receives a refund of income tax that is wholly or partly attributable to a period before that day. 316-275(2)
A *franking credit arises in that account. 316-275(3)
The amount of the *franking credit is so much of the *franking debit as is attributable to the period before that day. 316-275(4)
The *franking credit arises at the same time as the *franking debit arises.
Division 316
-
Demutualisation of friendly society health or life insurers
Subdivision 316-F
-
Non-CGT consequences of the demutualisation
Guide to Subdivision 316-F
SECTION 316-275
Franking credits to negate franking debits from refunds of tax paid before demutualisation
316-275(1)
This section applies if a *franking debit arises in the *franking account of the *friendly society or a *wholly-owned subsidiary of the society because, on or after the demutualisation resolution day identified under subsection 316-70(4) , the society or subsidiary *receives a refund of income tax that is wholly or partly attributable to a period before that day. 316-275(2)
A *franking credit arises in that account. 316-275(3)
The amount of the *franking credit is so much of the *franking debit as is attributable to the period before that day. 316-275(4)
The *franking credit arises at the same time as the *franking debit arises.
This information is provided by CCH Australia Limited Link opens in new window. View the disclaimer and notice of copyright.