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Using the modified 'substantial continuity of ownership' test presentation
Published on 12 Oct 05 by VICTORIAN DIVISION, THE TAX INSTITUTE
This presentation covers:
- Eligibility - what is a 'widely held' or 'eligible Div 166 company'?
- How the modified tracing rules apply in relation to:
- directly and indirectly held interests of less than 10%
- deemed beneficial owners
- the loss integrity and unrealised loss rules
- bad debts claims
- net capital losses
- Ultimate owners
- family trusts
- Governments
- Testing for preference shares and shares with varying rights
- When testing must occur?
- the basic rule
- loss companies coming into existence in the loss year
- applying prior year capital losses
- current year losses.
Author profile
Andrew Woollard CTA
Andrew Woollard FTIA is a Tax Partner with Ernst & Young, specialising in corporate and international tax. Andrew has over 15 years experience in advising clients on a broad range of corporate tax issues, including M&A transactions, restructuring, and business tax reform issues, including tax consolidation and tax loss issues. - Current at 03 September 2010
This was presented at The New Modified Loss Recoupment Rules .
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Using the modified 'substantial continuity of ownership' test
Author(s): Andrew WOOLLARDMaterials from this session:
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Context and carve-outs
Author(s): Duncan R C BAXTERMaterials from this session:
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