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Edited version of your written advice

Authorisation Number: 1051436089905

Date of advice: 26 November 2018

Ruling

Subject: Application of Division 149 of the ITAA 1997

Question

Would the Commissioner be satisfied or find it reasonable to assume that, for the purposes of Division 149 of the Income Tax Assessment Act 1997 (ITAA 1997), the majority of underlying interests held in the pre-CGT assets of Company A have been maintained?

Answer

No.

This ruling applies for the following periods:

Year ending 30 June 20XX

Year ending 30 June 20YY

Year ending 30 June 20ZZ

The scheme commences on:

XX May 20XX

Relevant facts and circumstances

Background

Company shareholding before 20 September 1985

Shareholder

Number of shares

Type of shares

Individual X

1

Ordinary

Individual X

2,000

Cumulative preference (7%)

Company C (atf the C Trust)

500

Ordinary

The C Trust

Company shareholding after 20 September 1985

The D, E and F Trusts

Rights attaching to shares

Dividend history

Relevant legislative provisions

Income Tax Assessment Act 1936 section 44

Income Tax Assessment Act 1936 section 160ZZS

Income Tax Assessment Act 1936 section 272-80

Income Tax Assessment Act 1997 section 6-5

Income Tax Assessment Act 1997 Division 149

Income Tax Assessment Act 1997 section 149-15

Income Tax Assessment Act 1997 section 149-25

Income Tax Assessment Act 1997 section 149-30

Income Tax Assessment Act 1997 section 149-50

Income Tax Assessment Act 1997 Subdivision 149-C

Income Tax Assessment Act 1997 subsection 995-1(1)

Reasons for decision

Question 1

Application of Division 149

Majority underlying interests immediately before 20 September 1985

Overview

Beneficial interests in the assets of Company A

Shareholder

Number of shares

Type of shares

Individual X

1

Ordinary

Individual X

2,000

Cumulative preference (7%)

Company C (atf the C Trust)

500

Ordinary

Direct beneficial interests in the assets of Company A

Indirect beneficial interests in the assets of Company A

Beneficial interest in the income of Company A

Direct beneficial interests in the income of Company A

Indirect beneficial interests in the income of Company A

Majority underlying interests after 20 September 1985

Beneficial interests in the assets of Company A

Beneficial interest in the income of Company A

ATO Interpretative Decision ATO ID 2011/107

Application of IT 2340 and ATO ID 2011/107

Conclusion


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