(1) If an entity is the holder of a * debt - like trust instrument in relation to an * AMIT, for the purposes of sections 276 - 265 and 276 - 270, treat a distribution to the entity in accordance with the instrument as a * return that the AMIT pays or provides on a * debt interest.
(2) For the purposes of subsection (1), disregard the distribution to the extent (if any) that it is referable to any of the following:
(a) * exempt income of the * AMIT;
(b) * non - assessable non - exempt income of the AMIT.