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INCOME TAX ASSESSMENT ACT 1997 - SECT 960.190

Direct participation interest

  (1)   Use the following table to work out the direct participation interest that one entity holds in another entity.

 

Direct participation interest

 

If the other entity is this kind of entity:

the direct participation interest that the first entity holds in the other entity is:

1

A company (within the meaning of Part   X of the Income Tax Assessment Act 1936 )

the direct control interest (within the meaning of section   350 of the Income Tax Assessment Act 1936 ) that the first entity holds in the other entity

2

A trust (within the meaning of Part   X of the Income Tax Assessment Act 1936 )

the direct control interest (within the meaning of section   351 of the Income Tax Assessment Act 1936 ) that the first entity holds in the other entity

3

A partnership

the direct control interest (within the meaning of section   350 of the Income Tax Assessment Act 1936 ) that the first entity would hold in the other entity, if the assumptions in subsection   (3) of this section were made

  (2)   For the purposes of subsection   (1):

  (a)   apply sections   350 and 351 of the Income Tax Assessment Act 1936 as if those sections apply for the purposes of this Division rather than only for the purposes of Part   X of that Act; and

  (b)   do not apply subsections   350(6) and (7) and 351(3) and (4) of that Act.

  (3)   For the purposes of item   3 of the table in subsection   (1), assume that:

  (a)   the * partnership is a company; and

  (b)   the partners in the partnership are shareholders in the company; and

  (c)   the total amount of assets or capital contributed to the partnership is the total paid - up share capital of the company; and

  (d)   a partner's right of distribution of capital, assets or profits on the dissolution of the partnership is a shareholder's right to distribution of capital or profits of the company on winding - up; and

  (e)   a partner's right of distribution of capital, assets or profits otherwise than on the dissolution of the partnership is a shareholder's right to distribution of capital or profits of the company otherwise than on winding - up.



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