Document ID: chunk:federal_register_of_legislation:C2010C00690:clause:1_3:p4
Version: federal_register_of_legislation:C2010C00690
Segment Type: clause
Provision Reference: sch 1 cl 3 (pt 4/9)
Character Range: 73120–75765

entity brings into joined group

705‑20  Tax cost setting amount worked out under this Subdivision

  If this Subdivision has effect, for the purposes of item 1 in the table in section 701‑60 (Tax cost setting amount) the *tax cost setting amount for an asset whose *tax cost is set at the time the joining entity becomes a *subsidiary member of the joined group is worked out under this Subdivision.

705‑25  Tax cost setting amount for retained cost base assets

 (1) This section states what the *tax cost setting amount is for a *retained cost base asset.

Australian currency

 (2) If the *retained cost base asset is covered by paragraph (a) or (b) of the definition of that expression and is not covered by another subsection of this section, its *tax cost setting amount is equal to the amount of the Australian currency concerned.

Qualifying securities

 (3) If the *retained cost base asset is a qualifying security (within the meaning of Division 16E of Part III of the Income Tax Assessment Act 1936), the *tax cost setting amount for the qualifying security is instead equal to the joining entity's *terminating value for the asset.

Entitlements to pre‑paid services etc.

 (4) If the *retained cost base asset is covered by paragraph (c) of the definition of that expression, its *tax cost setting amount is equal to the amount of the deductions to which the *head company is entitled under section 701‑5 (the entry history rule) in respect of the expenditure that gave rise to the entitlement.

Note: If the total amount to be treated as tax cost setting amounts for retained cost base assets exceeds the joined group's allocable cost amount for the joining entity, the head company makes a capital gain equal to the excess.

Retained cost base asset

 (5) A retained cost base asset is:
 (a) Australian currency, other than *trading stock or *collectables of the joining entity; or
 (b) a right to receive a specified amount of such Australian currency, other than a right that is a marketable security within the meaning of section 70B of the Income Tax Assessment Act 1936; or

Example: A debt or a bank deposit.
 (c) a right to have something done under an *arrangement under which:
 (i) expenditure has been incurred in return for the doing of the thing; and
 (ii) the thing is required or permitted to be done, or to cease being done, after the expenditure is incurred.

705‑30  What is the joining entity's terminating value for an asset?

Trading stock

 (1) If an asset of the joining entity is *trading stock, the joining entity's terminating value for the asset is:
 (a) if the asset was on hand at the start