(1) This section sets out the alternative requirements mentioned in paragraph 48-10.03(1)(a) for a trust to satisfy in relation to a GST group or proposed GST group that consists only of fixed trusts.
Note: The fixed trust must also satisfy other membership requirements set out in section 48-10 of the Act.
(2) The fixed trust must be a member of the same 90% owned trust group as all other fixed trusts in that group.
(3) For the purposes of this section:
(a) two fixed trusts are members of the same 90% owned trust group if:
(i) the trustee of one of the trusts has at least a 90% trust stake in the other trust; or
(ii) the trustee of a third trust has at least a 90% trust stake in each of the 2 trusts; and
(b) the trustee of a fixed trust (the head trust ) has at least a 90% trust stake in another fixed trust (the sub-trust ) if the trustee:
(i) owns at least 90% of the issued units in the sub-trust (whether directly or indirectly through one or more interposed trusts or companies); and
(ii) has the right to receive at least 90% of any distribution of capital or income of the sub-trust.