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s 701C-50

Cost setting rules for exit cases—reference to modification of core rule

In force
Chapter 3Specialist liability rules
Part 3-90Consolidated groups
Division 701CModified application etc. of provisions of Income Tax Assessment Act 1997: transitional foreign‑held membership structures
Subdivision 701C-CModifications of tax cost setting rules

701C-50 Cost setting rules for exit cases—reference to modification of core rule

Section 711‑5 of the Income Tax Assessment Act 1997 applies as if the following note were added at the end of the section:

Note:

If the leaving entity is a transitional foreign‑held subsidiary (within the meaning of section 701C‑20 of the Income Tax (Transitional Provisions) Act 1997), this Division will, in accordance with subsection 701‑15(4) of this Act (see section 701C‑40 of the first‑mentioned Act), apply to membership interests that an eligible non‑resident mentioned in that subsection holds in the entity in the same way as it applies to membership interests that the head company holds in the entity.

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