(1) Subsections (2) and (3) apply if:
(a) the * membership interests in an * AMIT for an income year are divided into classes; and
(b) the rights arising from each of those membership interests in a particular class are the same as the rights arising from every other of those membership interests in that class; and
(c) each of those membership interests in a particular class is distinct from each of those membership interests in another class; and
(d) the trustee of the AMIT has made a choice for the purposes of this paragraph that applies to the income year.
(2) For the purposes of this Division (other than this Subdivision), treat each class of those * membership interests in the * AMIT as being a separate AMIT for that income year.
(3) For the purposes of this Division, allocate assessable income, * exempt income, * non - assessable non - exempt income, * tax losses, * net capital losses and other similar amounts in respect of the * AMIT between each of the separate classes mentioned in subsection (1) on a fair and reasonable basis.
Making of choice by trustee
(4) A choice for the purposes of paragraph (1)(d) applies to the income year for which it is made and every subsequent income year.
(5) A choice for the purposes of paragraph (1)(d) cannot be revoked.