(1) The determined member component of a particular character for an income year of a * member of an * AMIT in respect of the income year is the amount of the member's * member component of that character as reflected in the AMIT's latest * AMMA statement for the member for the income year.
(2) Subsection (3) applies if:
(a) the * member makes a choice for the purposes of this paragraph that complies with subsection (5); and
(b) the member gives a copy of the choice to the Commissioner within 4 months after:
(i) unless subparagraph (ii) applies--the end of the member's income year; or
(ii) if the * AMIT gives the member a revised * AMMA statement for the income year at a time after the end of that income year--that time; and
(c) the member gives a notice of the choice, in accordance with subsection (7), to the trustee of the AMIT within those 4 months.
(3) Despite subsection (1), if the * determined member component of that character for the income year (disregarding this subsection) does not accord with subsections 276 - 210(2), (3) and (4), that determined member component is instead the member's * member component of that character for the income year.
(4) For the purposes of subsection (3), in working out the member's * member component of that character for the income year, if the * trust component of that character differs from the * determined trust component of that character, treat the references in section 276 - 210 to determined trust component as instead being references to trust component.
Example: The determined trust component exceeds the trust component because of an unintentional mistake by the trustee of the AMIT. As a result, a member's corresponding determined member component under subsection (1) exceeds what it would have been if the trustee had not made the mistake.
If the member makes a choice under subsection (2), the amount of the determined member component will be determined according to the amount of the trust component.
(5) The choice must:
(a) be in writing; and
(b) state the following matters:
(i) the income year to which the choice relates;
(ii) what the * member considers to be the member's * member component of that character for the income year;
(iii) the reason why the member considers that the * determined member component of that character for the income year does not accord with subsections 276 - 210(2), (3) and (4).
(6) The way the * member's * income tax return is prepared is sufficient evidence of the making of the choice.
(7) The notice must:
(a) be in writing; and
(b) state the matters mentioned in paragraph (5)(b).