Is a viable business transfer necessary for an eligible company to claim the research and development additional deduction under section 73Y of the Income Tax Assessment Act 1936 (ITAA 1936), where that company has: deducted, under subsection 73B(13) or subsection 73B(14) of the ITAA 1936, an amount for incremental expenditure in the current year of income and in each of the preceding three years of income; and experienced a change in control during that time? No. An eligible company which has […]
In calculating the ‘value of supplies’ under paragraph 73K(1)(b) of the Income Tax Assessment Act 1936 (ITAA 1936) of the definition of ‘R&D group turnover’, for a company that has carried on a business of acting as a lender in providing mortgage loans, is the amount received for the assignment of its loan portfolio a supply made ‘in the course of carrying on a business’ in the terms of the definition of ‘value of supplies’ in sub-section 73H(2) of the ITAA 1936? […]
In calculating the ‘value of supplies’ under paragraph 73K(1)(b) of the definition of ‘R&D group turnover’, in the Income Tax Assessment Act 1936 (ITAA 1936), for a company that conducts business as a lender, are amounts of interest in respect of loans that were settled in a prior year of income, as well as interest in respect of loans that were settled in the current year of income, included? Yes. The ‘value of supplies’ under paragraph 73K(1)(b) of the definition of ‘R&D […]
What amounts are included in the ‘value of supplies’ under paragraph 73K(1)(b) of the definition of ‘R&D group turnover’, in the Income Tax Assessment Act 1936 (ITAA 1936), for a year of income, for a company that has entered into an agreement for the provision of services over a number of years of income, where no precise portion of the consideration expressly relates to services provided in a specific year of income? The amount to be included in the ‘value of supplies’ […]