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This draft Determination states that the period of ownership of an asset by a subsidiary member who brings it into the consolidated group is taken into account in determining whether the head company has owned it for the 15 year period in paragraph 152-110(1)(b) of the Income Tax Assessment Act 1997 (ITAA 1997).
Taxation Determination TD 2004/43, which issues today, deals more generally with when a head company of a consolidated group is taken to have acquired an asset which a subsidiary member brings into a consolidated group. Consequently, it is considered more appropriate to deal with the issue raised in TD 2004/D14 in that Determination. Draft Taxation Determination TD 2004/D14 is therefore withdrawn.
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