Notice of Rulings 31 August 2022

Administered by Department of the Treasury

Legislation au F2022N00194 In force Notifiable Instrument

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Notice of Rulings 31 August 2022

The Commissioner of Taxation, Chris Jordan, gives notice by notifiable instrument under subsection 358-5(4) of Schedule 1 to the Taxation Administration Act 1953 of the following public rulings, copies of which can be obtained from ato.gov.au/law

 

NOTICE OF RULINGS

Ruling number

Subject

Brief description

CR 2022/78

Vimy Resources Limited – scrip for scrip roll-over

This Ruling sets out the income tax consequences for Australian-resident holders of ordinary shares in Vimy Resources Limited who exchanged their shares for shares in Deep Yellow Limited on 4 August 2022.

This Ruling applies from 1 July 2022 to 30 June 2023.

CR 2022/79

New World Resources Limited – return of capital by distribution of shares in Koba Resources Limited

This Ruling sets out the income tax consequences of the reduction of share capital by New World Resources Limited which was satisfied by the transfer of shares in Koba Resources Limited to the shareholders of New World on 26 April 2022.

This Ruling applies from 1 July 2021 to 30 June 2022.

PR 2022/7

Bell Equity Lever – instalment receipts

This Ruling sets out the Commissioner’s view of the consequences of investing in the Bell Equity Lever facility offered by Bell Potter Capital Limited.

This Ruling applies from 1 July 2022 to 30 June 2025.

PR 2022/8

Bell Geared Equities Investment

This Ruling sets out the Commissioner’s view of the consequences of investing in the Bell Geared Equities Investment offered by Bell Potter Capital Limited.

This Ruling applies from 1 July 2022 to 30 June 2025.

TD 2022/12

Income tax:  is the source concept in Division 6 of Part III of the Income Tax Assessment Act 1936 relevant in determining whether a non-resident beneficiary of a resident trust, or trustee for that trust, is assessed on an amount of trust capital gain arising under Subdivision 115–C of the Income Tax Assessment Act 1997?

This Determination describes when an amount of trust capital gain is assessable to a non-resident beneficiary or trustee. It also describes when a non-resident beneficiary’s share of taxable Australian property gains of a non-resident trust and a trustee’s share of a capital gain applies.

This Determination applies to arrangements entered into before and after its date of issue.

TD 2022/13

Income tax:  does Subdivision 855-A (or subsection 768-915(1)) of the Income Tax Assessment Act 1997 disregard a capital gain that a foreignresident (or temporaryresident) beneficiary of a resident nonfixed trust has because of subsection 115-215(3)?

This Determination describes when a capital gain that a foreign-resident beneficiary of a resident non-fixed trust has can be disregarded.

This Determination applies both before and after its date of issue.

 

NOTICE OF ADDENDUM

Ruling number

Subject

Brief description

PR 2021/12

Challenger Lifetime Annuity (Liquid Lifetime)

This Ruling has been amended to incorporate a new Product Disclosure Statement.

This Addendum applies before and after its date of issue.

 

 

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Sourced from the Federal Register of Legislation at 26 August 2026. For the latest information on Australian Government law please go to https://www.legislation.gov.au.