(1) The loss is not reduced if all of it can be shown to be attributable to things other than these:
(a) something that would be reflected in what would, apart from this Part, be an overall loss under section 165 - 115R or 165 - 115S, of a * member of a * consolidated group (an excluded group ) because of which the first condition in section 715 - 610 is satisfied, at an * alteration time for that member;
(b) an * indirect value shift for which, apart from this Part, a member of an excluded group would be the * losing entity or the * gaining entity.
(2) If only part of the loss can be shown to be attributable to things other than the ones listed in subsection (1), the loss is reduced to the amount of that part.
Table of sections
Head company's choice overriding entry history rule
715 - 660 Head company's choice overriding entry history rule
Choices head company can make ignoring entry history rule to override inconsistencies
715 - 665 Head company's choice to override inconsistency
Choices with ongoing effect
715 - 670 Ongoing effect of choices made by entities before joining group
715 - 675 Head company adopting choice with ongoing effect