Estimated tax components of the distribution
|Tax components||September distribution (paid 30 September 2016)||October distribution (paid 11 November 2016)||December distribution (paid on 7 February 2017)|
|$ per unit||$ per unit||$ per unit|
|Australian interest income||$0.00011044||$ nil||$0.00095092|
|Foreign sourced interest income||$0.03143514||$ nil||$0.00244047|
|Foreign sourced dividend income||$0.19737019||$ nil||$0.05056215|
|Foreign sourced other income||$ nil||$ nil||$0.04278556|
|CFC attributable income||$ nil||$ nil||$ nil|
|Capital gains (discounted method)||$ nil||$ nil||$0.00011374|
|Total distribution of income||$0.22891577||$ nil||$0.09685284|
|Capital gains tax concession amount||$ nil||$ nil
|Other distribution of capital||$0.32217775||$0.10385993||$0.07048107|
|Total distribution of capital||$0.32217775||$0.10385993||$0.07059481|
The distribution does not include a conduit foreign income component
Foreign sourced dividend income is received by the Fund from its Controlled Foreign Company (CFC). For income tax purposes, to the extent a unitholder has accumulated attribution credits in relation to the unitholder’s indirect interest in the Fund’s CFC, the unitholder may be able to use these credits to reduce the share of the net (taxable) income of the Fund to be included in the unitholder’s assessable income.
The tax implications for each unitholder from investment in the Fund depends on their individual circumstances. It is important that unitholders seek professional taxation advice in respect of their investment in the Fund because the taxation system is complex and outcomes depend on the circumstances specific to each unitholder.
Annual tax statement
This notice is provided as an estimate only. Australian resident unitholders should not rely on this information for the purposes of completing their income tax returns. Details of the full year tax components in respect of distributions will be provided in the annual tax statement which is expected to be sent to unitholders in July 2017.
Notice for the purpose of Subdivision 12-H of Schedule 1 of the Tax Administration Act
AMP Capital Funds Management Limited (AFSL 426455), the Responsible Entity, considers the AMP Capital China Growth Fund to be a Managed Investment Trust for the purposes of Subdivision 12-H of the Taxation Administration Act 1953 in respect of the year ending 31 December 2016.
This information is issued for the purposes of Subdivision 12-H in relation to payments made to unitholders and intermediaries and should not be used for any other purpose.
For the purpose of section 12-395 of the Taxation Administration Act 1953 this distribution includes a ‘fund payment’ amount of nil cents per unit in respect of the year ending 31 December 2016.
While every care has been taken in the preparation of this information contained in this website, neither AMP Capital Investors Limited (ABN 59 001 777 591)(AFSL 232497) nor any member of the AMP Group make any representation or warranty as to the accuracy or completeness of any statement in it including without limitation, any forecasts. This content has been prepared for the purpose of providing general information only, without taking account of any particular investor’s objectives, financial situation or needs. Investors should, before making any investment decisions, consider the appropriateness of the information on this website, and seek professional advice, having regard to their objectives, financial situation and needs. Content sourced from Cuffelinks and Livewire does not represent the views of AMP Capital or any member of the AMP Group. All information on this website is subject to change without notice.