(1) This Subdivision provides for a deferral of the taxation consequences that would occur because of an event (the deferral event ) happening involving an entity (the originating entity ) and another entity (the recipient entity ) if:
(a) the event occurs in connection with a life insurance company (the member life insurance company ) becoming a member of a consolidated group; and
(b) the relevant conditions in section 713 - 520 are met.
(2) If the originating entity is a company, the deferral event referred to in subsection (1) is a CGT event referred to in subsection (4) happening to a CGT asset (the original asset ) where, apart from this Subdivision, the happening of the event would have resulted in:
(a) an amount (other than a capital gain) being included in the originating entity's assessable income; or
(b) the originating entity making a capital gain.
(3) If the originating entity is a trust, the deferral event referred to in subsection (1) is a CGT event referred to in subsection (4) happening to a CGT asset (also the original asset ) where, apart from this Subdivision, the happening of the event would have resulted in:
(a) an amount (other than a capital gain) being included in the net income of the trust; or
(b) the trustee making a capital gain.
(4) The CGT events are:
(a) CGT events A1, B1, D1, D2, D3, E2, F1 and F2; and
(b) CGT event C2, but only if the CGT asset that ends is a unit in a unit trust that is replaced by an equivalent membership interest (the replacement interest ) in a company or in another trust.