More on this. The following is from Tax Determination TD 33 and...

  1. gjh
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    More on this. The following is from Tax Determination TD 33 and spells it out a bit more clearly:


    1. Where a disposal of shares occurs and those shares are able to be individually distinguished e.g. by reference to share numbers or other distinctive rights or obligations attached to them, those shares are identifiable; their date of acquisition and cost base will be a matter of fact.

    2. However, on the disposal of shares which form part of a holding of identical shares i.e. of the same class and in the same company, which are acquired over a period of time, it may not always be possible for a taxpayer to distinguish or identify the particular shares that have been disposed of.

    3. In these circumstances, the taxpayer will need to decide which particular shares are being disposed of. Taxpayers in this situation will need to keep adequate records of the transaction so that the decision can be supported should the income tax return be subject to Tax Office scrutiny at a later date.

    4. In the past, where unidentifiable shares have been disposed of, the Commissioner has accepted 'first-in first-out' as a reasonable basis of identification. For CGT purposes, the Commissioner will also accept the taxpayer's selection of the identity of shares disposed of.

    5. Average cost is not an acceptable method to work out the acquisition cost of shares unless the shares satisfy all of the following requirements:
    (a)
    they are in the same company; and
    (b)
    they are acquired on the same day; and
    (c)
    they confer identical rights and impose identical obligations.
 
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