OrbitaxOrbitax

Capital gains participation exemption clarified

|Approved Changes|Australia
Australia

The Australian Taxation Office released Taxation Determination TD 2008/23 saying that the active assets of a partnership, in which a foreign company is a partner, are not active foreign business assets of the foreign company for the purposes of the capital gains participation exemption in Subdivision 768-G of the Income Tax Assessment Act 1997.

Subdivision 768-G exempts from Australi…

Continue Reading