Disclaimer
This edited version has been archived due to the length of time since original publication. It should not be regarded as indicative of the ATO's current views. The law may have changed since original publication, and views in the edited version may also be affected by subsequent precedents and new approaches to the application of the law.

You cannot rely on this record in your tax affairs. It is not binding and provides you with no protection (including from any underpaid tax, penalty or interest). In addition, this record is not an authority for the purposes of establishing a reasonably arguable position for you to apply to your own circumstances. For more information on the status of edited versions of private advice and reasons we publish them, see PS LA 2008/4.

 

XY

XZ

Company D

Total shares on issue

A Class

-

AAAA

XXX

CCCC

B Class

-

BBB

YYY

DDDD

C Class

-

BBB

YYY

DDDD

D Class

DDDD

-

-

DDDD

E Class

-

BBB

YYY

DDDD

Share Class

No.

Shareholder

Ordinary

EEEEE

Company B

Redeemable Preference

FFFFF

Company B

Redeemable Preference

G

Company C

             (5)  An * ultimate owner indirectly has a beneficial interest in ordinary income that may be derived from a CGT asset of another entity (that is not an ultimate owner) if he, she or it would receive for his, her or its own benefit any of a dividend or income if:


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