Taxation Determination

TD 93/45W

Income tax: capital gains: if the parties to a contract for the sale of an asset renegotiate prior to settlement a lesser sum than the consideration originally agreed to, what is the consideration in respect of the resulting disposal and acquisition?

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Notice of Withdrawal

Taxation Determination TD 93/45 is withdrawn with effect from today.

1. Taxation Determination TD 93/45 stated that the consideration in respect of the disposal is the renegotiated amount. The cost base to the purchaser includes the renegotiated amount the purchaser is required to pay.

2. Subsection 116-20(1) of the Income Tax Assessment Act 1997 (ITAA 1997) deals with the capital proceeds from a CGT event. It clearly states that the capital proceeds are the total of the money you have received, or are entitled to receive, in respect of the event happening and the market value of any other property you have received, or are entitled to receive, in respect of the event happening (worked out as at the time of the event).

3. Subsection 110-25(2) of the ITAA 1997 deals with the first element of the cost base. It clearly states that the first element is the total of the money you paid, or are required to pay, and the market value of any other property you gave, or are required to give, in respect of acquiring it (worked out as at the time of the acquisition).

4. As the law is expressed clearly, it is considered that no further explanation is needed.

5. Accordingly, TD 93/45 is withdrawn.

Commissioner of Taxation
19 May 2010

References

ATO references:
NO 2006/20258

ISSN 1038 - 8982

Related Rulings/Determinations:

TD 93/43
TD 93/44

Subject References:
Acquisition of an asset
consideration
contract for sale of asset
disposal of asset
renegotiated amounts

Legislative References:
ITAA 160ZD(1)
ITAA 160ZF

TD 93/45W history
  Date: Version: Change:
  25 March 1993 Original ruling  
  29 November 2006 Original ruling + note Repeal provision note
You are here 19 May 2010 Withdrawn  

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