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Legislation
ATO documents that consider ITAA 1997 s 104-35
32 documents
Miscellaneous taxes: application of the income tax and GST laws to immediate transfer farm-out arrangements
Miscellaneous taxes: application of the income tax and GST laws to deferred transfer farm-out arrangements
Income tax: capital gains: does CGT event D1 in section 104-35 of the Income Tax Assessment Act 1997 happen if you receive money or property for withdrawing an objection against a proposed land development?
Income tax: capital gains: can you acquire a contractual or other legal or equitable right even though there may be no tax consequences for the entity creating the right?
Income tax: capital gains: does CGT event D1 happen if a taxpayer grants an easement, profit a prendre or licence over an asset?
Income tax: conversion of shares and variation in rights: Golden Circle Limited
Income tax: demutualisation of the IOR Friendly Society Limited
Income tax: CDS Technologies Limited - return of capital to shareholders
Income tax: return of capital Multiplex Acumen Vale Syndicate Limited
Income tax: return of capital: Energy Technologies Ltd (EGY)
Income tax: proposed return of capital: Murchison Metals Ltd
Income tax: Victorian Department of Sustainability and Environment - Bushbroker Scheme (Method 1)
Income tax: demerger of OMI Holdings Limited by Donaco International Limited
Income tax: return of capital: Ambre Energy Limited
Income tax: Service Stream Limited - return of capital and share consolidation
Capital gains tax - creation of contractual rights where a club acquires the assets and liabilities of another club (in liquidation)
Capital gains: capital proceeds arising from the grant of a licence to use premises
Capital allowances: granting a right of use - other than a taxable purpose
Income tax: capital gains: does CGT event D1 in section 104-35 of the Income Tax Assessment Act 1997 happen if you receive money or property for withdrawing an objection against a proposed land development?
Income tax: capital gains: can you acquire a contractual or other legal or equitable right even though there may be no tax consequences for the entity creating the right?