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Legislation
ATO documents that consider ITAA 1936 s 102T
8 documents
Income tax: can section 23AJ of the Income Tax Assessment Act 1936 apply to a dividend paid by a company (not being a Part X Australian resident) to the trustee of a trust, even where the trustee then pays an amount attributable to the dividend to an Australian resident company beneficiary?
Income tax: stapling of units in Australian Pipeline Trust with the units in Australian Pipeline Trust Investment Trust
Income tax: exchange of units in Connell Wagner Holdings Trust for shares in Connell International Group Limited
Income tax: redemption of units: LinQ Resources Fund
Income tax: scrip for scrip roll-over: proposed merger and acquisition of units in RFM Chicken Income Fund
Income tax: scrip for scrip roll-over: proposed merger and acquisition of units in RFM Australian Wine Fund
Capital gains tax: scrip for scrip rollover - unit in a public trading trust exchanged for a share in a company
Income tax: can section 23AJ of the Income Tax Assessment Act 1936 apply to a dividend paid by a company (not being a Part X Australian resident) to the trustee of a trust, which then pays it to an Australian resident company beneficiary?