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Is CGT event I2 in section 104-170 of Income Tax Assessment Act 1997 (ITAA 1997) 'a CGT event happening to a CGT asset' for the purposes of paragraph 768-605(2)(b) of the ITAA 1997?
Yes. CGT event I2 in section 104-170 of ITAA 1997 is 'a CGT event happening to a CGT asset' for the purposes of paragraph 768-605(2)(b) of ITAA 1997.
The taxpayer, a foreign resident funds manager owns 100% of the units of Australian Trust which is a resident trust for CGT purposes.
Australian Trust will cease to be a resident trust for CGT purposes.
The change of residency of Australian Trust will trigger CGT Event I2 under section 104-170 of ITAA 1997.
Subsection 768-605(2) of ITAA 1997 disregards a capital gain made by a foreign resident in respect of that person's interest in a fixed trust if the capital gain relates to an asset that does not have a necessary connection with Australia. One of the eligibility tests for the exemption is contained in paragraph 768-605(2)(b) of ITAA 1997 which provides that: the gain is attributable to a *CGT event happening to a *CGT asset of that trust or of another fixed trust in which that trust has an interest (directly, or indirectly through a *chain of fixed trusts) * Denotes a term defined in section 995-1 of ITAA 1997
To satisfy that eligibility test in respect of the facts in this case, CGT event I2 must give rise to a gain that is attributable to 'a CGT event happening to a CGT asset' of Australian Trust ( emphasis added ).
While CGT event I2 happens where Australian Trust stops being a resident for CGT purposes (subsection 104-170(1) of ITAA 1997), a CGT event I2 capital gain or loss is made only to extent that the trust owns CGT assets (subsection 104--170(3) of ITAA 1997). Subsection 104-170(3) requires the trustee to work out the capital gain or loss for each CGT asset owned. This means that a capital gain made as a result of CGT event I2 relates to a CGT asset.
It follows that a capital gain made as a result of CGT event I2 is a gain that is attributable to "a *CGT event happening to a *CGT asset" for the purposes of paragraph 768-605(2)(b) of ITAA 1997.
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