Object
(1) The object of this section is to ensure that, in working out the group's * allocable cost amount for entities that become * subsidiary members of the group at the formation time, the reduction under step 4 in the table in section 705 - 60 (about pre - formation time distributions out of certain profits) is made only for profits that have been effectively distributed to the * head company in respect of its direct * membership interests in the entities. This ensures consistency with the ordering rule in section 705 - 145.
When section applies
(2) This section applies to a distribution (the subject distribution ) to the extent that the following conditions are satisfied:
(a) the distribution is made by an entity (the subject entity ) that becomes a * subsidiary member of the group at the formation time;
(b) in working out the group's * allocable cost amount for the subject entity there would, apart from this section, be a reduction under step 4 in the table in section 705 - 60 for the distribution.
Step 4 reduction only if subject distribution is made to head company etc.
(3) There is no reduction as mentioned in paragraph (2)(b) for the subject distribution unless:
(a) the subject distribution is made to the * head company of the group; or
(b) the reduction is in accordance with subsection (5).
Step 4 reduction for effective distribution to head company
(4) If:
(a) at the formation time, the * head company of the group has a direct * membership interest in the subject entity; and
(b) the head company acquired the membership interest directly from another entity, or indirectly as a result of one or more acquisitions from other entities, where:
(i) former section 160ZZ0 of the Income Tax Assessment Act 1936 applied to each acquisition; or
(ii) there was a roll - over under Subdivision 126 - B for each acquisition;
or a combination of these happened; and
(c) while it held the membership interest, the entity, or one of the entities, mentioned in paragraph (b) (the recipient of the further distribution ) received a distribution (the further distribution ) of some of the subject distribution from the subject entity;
the consequences in subsections (5) and (6) apply.
Reduction for further distribution that remains with recipient
(5) If:
(a) the following happen:
(i) by the formation time, any of the further distribution (the eligible reduction amount ) had not again been distributed by the recipient of the further distribution;
(ii) the recipient of the further distribution does not become a * subsidiary member of the group at the formation time; or
(b) the following happen:
(i) by the formation time, any of the further distribution (the eligible reduction amount ) had been distributed by the recipient of the further distribution to another entity directly, or indirectly though successive distributions by interposed entities;
(ii) that other entity does not become a subsidiary member of the group at the formation time; or
(c) both of the above paragraphs apply;
then, in working out the group's * allocable cost amount for the subject entity, the reduction under step 4 in the table in section 705 - 60 for the subject distribution only takes place to the extent that it equals the sum of all eligible reduction amounts.
Step 1 reduced cost base adjustment to reverse effect of reduction for further distribution
(6) Also, if former subsection 160ZK(5) of the Income Tax Assessment Act 1936 or subsection 110 - 55(7) of this Act applied to the further distribution, then for the purposes of step 1 in the table in section 705 - 60 in working out the group's * allocable cost amount for the subject entity:
(a) the reference in subsection 705 - 65(3) to a reduction resulting from the application of former subsection 160ZK(5) of the Income Tax Assessment Act 1936 ; and
(b) the reference in subsection 705 - 65(5) to a reduction that has taken place under subsection 110 - 55(7);
include a reference to the reduction in the * reduced cost base of the membership interest in the subject entity resulting from the application of former subsection 160ZK(5) of the Income Tax Assessment Act 1936 , or subsection 110 - 55(7) of this Act, to the further distribution.