ITAA 1936 s 45B(3) in relation to the scheme as described, section 45C will not deem any part of the further return of capital to be an unfranked dividend for the purposes
ATO documents that consider ITAA 1936 s 45B(3) in relation to the scheme as described, section 45C will not deem any part of the further return of capital to be an unfranked dividend for the purposes