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Part 3U.K.Multinational top-up tax

Chapter 4U.K.Calculation of adjusted profits of members of a multinational group

Elections to treat certain amounts differentlyU.K.

163Election to spread certain capital gains over five yearsU.K.

(1)The filing member of a multinational group may elect that the net gain in respect of the disposal of local tangible assets by standard members of the group in a territory in an accounting period (“the election period”) is to be spread across that period and the preceding 4 accounting periods (collectively “the look-back period”) in accordance with subsection (2).

(2)To spread the net gain across those periods take the following steps—

(3)For the purposes of this section any gain or loss arising from the transfer of assets between standard members of a multinational group is to be ignored.

(4)Where, as a result of an election under this section, the underlying profits of a member of a multinational group in an accounting period is adjusted, the following are to be recalculated for that period—

(a)the effective tax rate for the member and the other members of that group located in the same territory, and

(b)the top-up amounts that those members would have.

(5)Section 206

(a)makes provision about the consequences of a recalculation (which may include the generation of an additional top-up amount), and

(b)applies to recalculations under subsection (4).

(6)Where an election under this section has effect in relation to a member of a multinational group, any amount of tax with respect to any gains or loss in respect of the disposal of local tangible assets in the election year is to be excluded from the calculation of the member’s covered tax balance.

(7)Paragraph 2 of Schedule 15 (annual elections) applies to an election under this section.

(8)In this sectionlocal tangible asset” means immovable property in the same territory as the member disposing of it is located.