(1) The CGT consequences for you of a * direct value shift are of one or more of these 3 kinds:
(a) there are one or more * taxing events generating a gain for * down interests of which you are an affected owner (see subsection (2));
(b) the * cost base and * reduced cost base of down interests of which you are an * affected owner are reduced (see subsection (3));
(c) the cost base and reduced cost base of * up interests of which you are an affected owner are uplifted (see subsection (4)).
Note: If there is a taxing event generating a gain, CGT event K8 happens. See section 104 - 250.
Taxing event generating a gain
(2) To work out:
(a) whether under the table in section 725 - 245 there is a * taxing event generating a gain for you on a * down interest; and
(b) if so, the amount of the gain;
assume that the adjustable value from time to time of that or any other * equity or loan interest in the * target entity is its * cost base.
Note: For example, for that purpose the question whether the interest has a pre - shift gain or a pre - shift loss is determined on the basis that the interest's adjustable value is its cost base.
Reduction or uplift of cost base and reduced cost base
(3) The * cost base and the * reduced cost base of a * down interest are reduced at the * decrease time to the extent that section 725 - 250 provides for the * adjustable value of the interest to be reduced.
(4) The * cost base and the * reduced cost base of an * up interest are uplifted at the * increase time to the extent that section 725 - 250 provides for the * adjustable value of the interest to be uplifted.
(5) However, the * cost base or * reduced cost base is uplifted only to the extent that the amount of the uplift is still reflected in the * market value of the interest when a later * CGT event happens to the interest.
(6) To work out:
(a) whether the * cost base or * reduced cost base of the interest is reduced or uplifted; and
(b) if so, by how much;
assume that:
(c) the adjustable value from time to time of that or any other * equity or loan interest in the * target entity is its cost base or reduced cost base, as appropriate; and
(d) if the interest is an * up interest because it was issued at a * discount--the adjustable value of the interest immediately before it was issued was its cost base or reduced cost base, as appropriate, when it was issued.
Note: For example, for that purpose the question whether the interest has a pre - shift gain or a pre - shift loss is determined on the basis that the interest's adjustable value is its cost base or reduced cost base, as appropriate.
Reductions and uplifts also apply to pre - CGT assets
(7) A reduction or uplift occurs regardless of whether the entity that owns the interest * acquired it before, on or after 20 September 1985.