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It continues to apply to arrangements begun to be carried out before the withdrawal but does not apply to arrangements begun to be carried out after the withdrawal.
TD 96/22 explains that mutuality extends to the payment of interest on late levies and as such is not assessable income of the strata title body corporate.
TD 96/22 is replaced by draft Taxation Ruling TR 2015/D1 Income tax: income tax matters relating to bodies corporate constituted under strata title legislation which issued today.
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