Taxation (Multinational - Global and Domestic Minimum Tax) Rules 2024
Constituent Entities generally
2-25(1)
Subsection (2) applies if a Low-Taxed Constituent Entity for a Fiscal Year of an Applicable MNE Group for the Fiscal Year: (a) is located in Australia for the Fiscal Year; or (b) is a Stateless Constituent Entity of the Applicable MNE Group that:
(i) is created in Australia; or
(ii) is a Stateless Constituent Entity under subsection 41(3) or 42(3) of the Act; or
(iii) is a Permanent Establishment in relation to which paragraph 19(1)(d) of the Act applies, and is a place of business (including a deemed place of business) in Australia.
2-25(2)
The Low-Taxed Constituent Entity has a Domestic Top-up Tax Amount for the Fiscal Year if it has Top-up Tax for the Fiscal Year.
Note:
If the Low-Taxed Constituent Entity is a Securitisation Entity, its Domestic Top-up Tax Amount for the Fiscal Year will be zero (see subsection 2-35(3) ) unless the only Constituent Entities of the MNE Group located in Australia are Securitisation Entities (see subsection 2-35(4) ).
Permanent Establishments
2-25(3)
Subsection (4) applies if: (a) a Low-Taxed Constituent Entity for a Fiscal Year of an Applicable MNE Group for the Fiscal Year is a Permanent Establishment of a Main Entity; and (b) the Low-Taxed Constituent Entity is located in Australia for the Fiscal Year; and (c) the Main Entity is not located in Australia for the Fiscal Year.
2-25(4)
If the Low-Taxed Constituent Entity has Top-up Tax for the Fiscal Year: (a) despite subsection (2) , the Low-Taxed Constituent Entity does not have a Domestic Top-up Tax Amount for the Fiscal Year; and (b) the Main Entity has a Domestic Top-up Tax Amount for the Fiscal Year in respect of the Low-Taxed Constituent Entity.
Joint Ventures and JV Subsidiaries
2-25(5)
Subsection (6) applies if: (a) a Joint Venture of an MNE Group, or a JV Subsidiary of a Joint Venture of an MNE Group, is located in Australia for a Fiscal Year; and (b) the MNE Group is an Applicable MNE Group for the Fiscal Year; and (c) the Joint Venture, or the JV Subsidiary, is a Low-Taxed Constituent Entity for the Fiscal Year.
Note:
For the purposes of determining whether a Joint Venture or its JV Subsidiaries are Low-Taxed Constituent Entities, treat them as comprising a separate MNE Group, of which the Joint Venture is the Ultimate Parent Entity: see paragraph 6-75(3)(b) .
2-25(6)
The Joint Venture, or the JV Subsidiary, has a Domestic Top-up Tax Amount for the Fiscal Year if it has Top-up Tax for the Fiscal Year.
2-25(7)
Subsection (8) applies if: (a) a JV Subsidiary of a Joint Venture of an MNE Group is a Permanent Establishment of a Main Entity that is:
(i) the Joint Venture; or
(b) the JV Subsidiary is a Low-Taxed Constituent Entity for the Fiscal Year; and (c) the JV Subsidiary is located in Australia for the Fiscal Year; and (d) the Main Entity is not located in Australia for the Fiscal Year.
(ii) another JV Subsidiary of the Joint Venture; and
2-25(8)
If the JV Subsidiary has Top-up Tax for the Fiscal Year: (a) despite subsection (6) , the JV Subsidiary does not have a Domestic Top-up Tax Amount for the Fiscal Year; and (b) the Main Entity has a Domestic Top-up Tax Amount for the Fiscal Year in respect of the JV Subsidiary.
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