If:
(a) section 328 - 455 applies in relation to the transfer of an asset under a transaction; and
(b) an entity holds, either directly or indirectly:
(i) a * membership interest in the transferor or a transferee; or
(ii) a membership interest that was issued as provided for by the transaction;
disregard a * capital loss from a * CGT event that arises in relation to the membership interest after the transaction takes effect, except to the extent that the entity can demonstrate that the loss is attributable to a matter other than the transaction.