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Edited version of your private ruling

Authorisation Number: 1012526261743

Ruling

Subject: Income Tax: Modified continuity of ownership test - no detriment rule

Question 1

Does the Commissioner confirm that Company A has continued to satisfy the continuity of ownership test is section 165-12 of the Income Tax Assessment Act 1997 ('ITAA 1997') as modified by section 166-5 of the ITAA 1997 to 30 June 2012 in respect of its losses incurred in the 2006 to 2009 income years on the basis that:

Answer

Yes

This ruling applies for the following periods:

Income year ended 30 June 2012

The scheme commences on:

1 July 2005

Relevant facts and circumstances

Company A incurred tax losses.

Company A applied tracing rules for the purposes of satisfying the substantial continuity of ownership test in Division 166 of the ITAA 1997.

Company A failed the substantial continuity of ownership test.

Company A and Company B merged with Company B's stake in Company A being subsequently cancelled.

Company B shareholders (including an individual and the Trustee of the XYZ Trust) were issued with new direct Company A shares and became registered shareholders of Company A after the merger.

Company A proposes to disregard all tracing rules in respect of stakes held by the individual and the Trustee of the XYZ Trust applied in testing for substantial continuity of ownership.

In respect of the individuals stake, Company A wishes to disregard the tracing rules which attribute his/her:

Company A proposes to trace the above stake down to the individual for all test times.

In respect of the trustee's stake, Company A proposes to disregard the tracing rules which attribute its:

Company A proposes to attribute the above stake to the beneficiaries of the XYZ Trust by virtue of it being the top interposed entity at all test times.

By disregarding the tracing rules the result of the modified COT would be as follows:

Stakeholder % ownership maintained

Single notional shareholder 48.7%

Individual 0.55%

Beneficiaries (XYZ Trust) 1.22%

Total 50.37%

Relevant legislative provisions

Income Tax Assessment Act 1997 Division 165

Income Tax Assessment Act 1997 Division 166

Income Tax Assessment Act 1997 section 165-12

Income Tax Assessment Act 1997 section 165-150

Income Tax Assessment Act 1997 section 165-155

Income Tax Assessment Act 1997 section 165-160

Income Tax Assessment Act 1997 section 165-165

Income Tax Assessment Act 1997 section 166-3

Income Tax Assessment Act 1997 subsection 166-5(3)

Income Tax Assessment Act 1997 subsection 166-15(1)

Income Tax Assessment Act 1997 section 165-145

Income Tax Assessment Act 1997 section 166-225

Income Tax Assessment Act 1997 section 166-230

Income Tax Assessment Act 1997 subparagraph 166-230(1)(b)(ii)

Income Tax Assessment Act 1997 section 166-235

Income Tax Assessment Act 1997 section 166-240

Income Tax Assessment Act 1997 section 166-272

Income Tax Assessment Act 1997 subsection 166-272(1)

Income Tax Assessment Act 1997 subsection 166-272(2)

Income Tax Assessment Act 1997 subsection 166-272(8)

Income Tax Assessment Act 1997 section 166-275

Income Tax Assessment Act 1997 paragraph 166-275(a)

Income Tax Assessment Act 1997 paragraph 166-275(b)

Income Tax Assessment Act 1997 paragraph 166-275(c)

Income Tax Assessment Act 1997 subsection 995-1

Reasons for decision

Section 166-275 of the ITAA 1997 will take a company as meeting the conditions in (relevantly) section 165-12 of the ITAA 1997 where:

The term 'tracing rule' is defined by reference to specific provisions within Subdivision 166-E of the ITAA 1997 (relevantly) sections 166-225, 166-230 and 166-240 of the ITAA 1997.

Company A proposes to apply the no-detriment rule in section 166-275 to stakes held by an individual and a trustee and trace down to the individual and the beneficiaries of the trust. By doing so, the individual would maintain 0.55% and the beneficiaries 1.12% ownership of Company A at all relevant times.

The tracing rules listed below applied to the stake held by the individual at the following relevant times:

The tracing rules listed below applied to the stake held by trustee at the following relevant times:

It is clear from the text of section 166-275 of the ITAA 1997 and in considering subdivision 166-E of the ITAA 1997 as a whole that the intent is to maintain the concessionary operation of the tracing rules and ensure their application is not detrimental to the satisfaction of substantial continuity of ownership.

The Explanatory Memorandum to Tax Laws Amendment (Loss Recoupment and Other Measures) Bill 2005 ('the EM') supports this. It states the following in respect of the no detriment rule:

Paragraphs 16-275(a) and (b) of the ITAA 1997

A tracing rule has modified how the ownership tests in section 166-145 of the ITAA 1997 applied to Company A in respect of a voting stake and Company A has failed the ownership tests.

The first two requirements of the no detriment rule are satisfied at this time. Should Company A have reasonable grounds to believe that by disregarding the tracing rules, they would have passed the ownership tests; the no detriment rule will be satisfied.

Paragraph 16-275(c)

Under paragraph 166-275(c) of the ITAA 1997, if a company were to disregard a concessional tracing rule, it would have to demonstrate that it believes on reasonable grounds that, if the rule did not apply, it would not fail the COT in section 165-12 of the ITAA 1997.

In establishing these reasonable grounds, Company A can apply the concessional tracing rules. Further, Company A can disregard not only a tracing rule that applies in relation to a particular stake, but also the same or a different concessional tracing rule that applies in relation to one or more other stakes.

Subsection 166-5(3) of the ITAA 1997 provides that the conditions in section 165-12 of the ITAA 1997 will be met where Company A has maintained substantial continuity of ownership. The substantial continuity of ownership test is provided in section 166-145 of the ITAA 1997 and requires the use of the alternative tests in section 165-150, 165-155 and 165-160 of the ITAA 1997.

To establish the reasonable grounds that it would not fail the ownership tests if the tracing rules did not apply, Company A has identified the stakes held by an individual and a trustee.

In respect of the individual's stake, Company A wishes to disregard all tracing rule concessions that applied for the relevant period and trace through to the individual.

In respect of the trustee's stake, Company A wishes to disregard all tracing rules concessions. This therefore requires consideration of the ultimate owner of the shares, which in this case would be the beneficiaries.

By doing so, Company A has calculated that substantial continuity of ownership, determined in accordance with the alternative tests, has been maintained as follows:

Stakeholder % ownership maintained

Single notional shareholder 48.7%

Individual 0.55%

Beneficiaries (XYZ Trust) 1.12%

Total 50.37%

By disregarding the tracing rules that applied to the individual's stake (i.e. sections 166-225, 166-230 and 166-240), Company A has calculated the individual maintained a 0.55% stake over the test period.

In respect of the Beneficiaries stake, Company A can disregard a tracing rule that applies to a stake if it has reasonable grounds to believe that if the tracing rule did not apply to the stake, it would not fail the ownership tests.

By disregarding the tracing rule concessions that applied to trustee's stake (i.e. section 166-225, 166-230 and 166-240), and treating the Beneficiaries (XYZ Trust) as the top interposed entity under section 166-230(1)(b)(ii) of the ITAA 1936, the Beneficiaries (XYZ Trust) maintained a 1.12% stake.

Company A has demonstrated on reasonable grounds that, if the tracing rules did not apply, it would not fail the COT in section 165-12 of the ITAA 1997. Paragraph 166-275(c) of the ITAA 1997 is satisfied.

Same share same interest rule - section 166-272

As previously stated, the same share same interest rule in Division 166 of the ITAA 1997 applies in limited circumstances. Relevantly, it applies to the trustee's stake as a top interposed entity.

Broadly stated, the rule in subsection 166-272(2) of the ITAA 1997 requires only the same shares/interests to be taken into account when determining substantial continuity of ownership.

The savings provision in subsection 166-272(8) of the ITAA 1997 will apply to take the substantial continuity of ownership as being satisfied.


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