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Is rollover under Subdivision 122-A of the Income Tax Assessment Act 1997 (ITAA 1997) precluded, if two or more trustees of a trust dispose of an asset to a company and just after the disposal, the trustees jointly own all the shares in the company?
No. The requirement in subsection 122-25(1) of the ITAA 1997 that the transferor entity own all the shares in the transferee company just after the disposal of the asset, will be satisfied, because subsection 960-100(2) of the ITAA 1997 treats the trustee of a trust as a single entity, consisting of the persons who are the trustees at any given time.
Several individuals were appointed as trustees of a trust.
The trustees disposed of all the assets of a business to a company.
The trustees received only shares in the company as consideration for the disposal. They jointly owned all the shares in the company just after the time of the disposal.
The trustees wish to choose rollover under Subdivision 122-A of the ITAA 1997.
An individual or a trustee can choose rollover under Subdivision 122-A of the ITAA 1997 if they dispose of an asset (or all the assets of a business) to a company: section 122-15 of the ITAA 1997.
One of the requirements for rollover is that just after the disposal, the individual or trustee owns all the shares in the company: subsection 122-25(1) of the ITAA 1997.
Therefore, rollover is not available if two or more individuals jointly own an asset, and they both dispose of their interests in the asset to a company in exchange for shares which they jointly own. In such a case, neither will own all the shares in the company just after the disposal, as required by subsection 122-25(1) of the ITAA 1997.
An issue arises as to whether the requirement can be met where a trust has more than one trustee, and those trustees transfer an asset of the trust to a company in exchange for shares issued to the trustees as joint tenants.
Subsection 960-100(2) of the ITAA 1997 provides that the 'trustee of a trust' is taken to be an 'entity consisting of the person who is the trustee, or the persons who are the trustees, at any given time'.
Therefore, for the purpose of determining whether the condition in subsection 122-25(1) of the ITAA 1997 is satisfied, the trustees are treated as a single entity. Accordingly the fact that a trust has several trustees will not prevent the trustees obtaining rollover relief under Subdivision 122-A of the ITAA 1997, provided the other rollover requirements are met.
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