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On 19 December 2012, the ATO released for public consultation by 1 February 2013 draft Taxation Determination TD 2012/D12 entitled "Income tax: can a consolidated special purpose financial report of a head company of a tax consolidated group satisfy clause 1.1 of Schedule 2 to the Income Tax Assessment Regulations 1997 where transactions within the same class are translated using inconsistent methodologies?"

The answer given is No.


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