ITAA 1936 s 73 of this Ruling is satisfied, the Demerger dividend received by Tawana Shareholders will not be assessable income or exempt income (subsection 44(4)
ATO documents that consider ITAA 1936 s 73 of this Ruling is satisfied, the Demerger dividend received by Tawana Shareholders will not be assessable income or exempt income (subsection 44(4)