Income Tax Assessment Act 1997
CHAPTER 4
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INTERNATIONAL ASPECTS OF INCOME TAX
An entity is an Australian controller of a *controlled foreign corporate limited partnership at a particular time if, and only if, at least one of the following paragraphs applies to the entity at that time:
(a) the entity is an *Australian entity that is a *general partner of the partnership;
(b) the entity is an Australian entity holding a *TC control interest in the partnership that is 10% or more. Controlled foreign corporate limited partnership 820-760(2)
A *corporate limited partnership is a controlled foreign corporate limited partnership at a particular time if, and only if, at that time:
(a) it is not an *Australian entity; and
(b) at least one of the following subparagraphs applies to it:
PART 4-5
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GENERAL
Division 820
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Thin capitalisation rules
Subdivision 820-H
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Control of entities
Australian controller of a foreign entity
SECTION 820-760
What is an Australian controller of a controlled foreign corporate limited partnership?
Australian controller of a controlled foreign corporate limited partnership
820-760(1)
An entity is an Australian controller of a *controlled foreign corporate limited partnership at a particular time if, and only if, at least one of the following paragraphs applies to the entity at that time:
(a) the entity is an *Australian entity that is a *general partner of the partnership;
(b) the entity is an Australian entity holding a *TC control interest in the partnership that is 10% or more. Controlled foreign corporate limited partnership 820-760(2)
A *corporate limited partnership is a controlled foreign corporate limited partnership at a particular time if, and only if, at that time:
(a) it is not an *Australian entity; and
(b) at least one of the following subparagraphs applies to it:
(i) at least one *general partner of the partnership is an *Australian entity or an *Australian controlled foreign entity;
(ii) not more than 5 Australian entities (each of which holds a *TC control interest in the partnership that is at least 1%) hold a total of TC control interests in the partnership that is 50% or more.
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