section 181
Consequences of impermissible avoidance arrangement
Income Tax Act 2025Tax2025570 sections23 chapters
Chapter XI General anti-avoidance rule
Statutory text
- (1) If an arrangement is declared to be an impermissible avoidance arrangement, then, the consequences, in relation to tax, of the arrangement, including denial of tax benefit or a benefit under a tax treaty, shall be determined, in the manner as deemed appropriate in the circumstances of the case.
- (2) The consequences of an arrangement declared to be an impermissible avoidance arrangement as referred to in sub-section (1) shall include but shall not be limited to the following:—
- (a) disregarding, combining or recharacterising any step in, or a part or whole of, the impermissible avoidance arrangement;
- (b) treating the impermissible avoidance arrangement as if it had not been entered into or carried out;
- (c) disregarding any accommodating party or treating any accommodating party and any other party as one and the same person;
- (d) deeming persons who are connected persons in relation to each other to be one and the same person for the purposes of determining tax treatment of any amount;
- (e) reallocating amongst the parties to the arrangement—
- (i) any accrual, or receipt, of a capital nature or revenue nature; or
- (ii) any expenditure, deduction, relief or rebate;
- (f) treating—
- (i) the place of residence of any party to the arrangement; or
- (ii) the situs of an asset or of a transaction,
at a place other than the place of residence, location of the asset or location of the transaction as provided under the arrangement; or
- (g) considering or looking through any arrangement by disregarding any corporate structure.
- (3) In this section,—
- (a) any equity may be treated as debt or vice versa;
- (b) any accrual, or receipt, of a capital nature may be treated as of revenue nature or vice versa; or
- (c) any expenditure, deduction, relief or rebate may be recharacterised.
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