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There are currently no known outstanding effects for the Land and Buildings Transaction Tax (Scotland) Act 2013, Cross Heading: No relief where arrangements to transfer control of financial institution.
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17SParagraphs 2 to 12 do not apply to alternative finance arrangements if those arrangements, or any connected arrangements, include arrangements for a person to acquire control of the relevant financial institution.
Commencement Information
I1 Sch. 7 para. 17 in force at 1.4.2015 by S.S.I. 2015/108 , art. 2
18SThat includes arrangements for a person to acquire control of the relevant financial institution only if one or more conditions are met (such as the happening of an event or doing of an act).
Commencement Information
I2 Sch. 7 para. 18 in force at 1.4.2015 by S.S.I. 2015/108 , art. 2
19SIn paragraphs 17 and 18—
“alternative finance arrangements” means the arrangements referred to in paragraphs 2 and 7,
“connected arrangements” means any arrangements entered into in connection with the making of the alternative finance arrangements (including arrangements involving one or more persons who are parties to the alternative finance arrangements),
“relevant financial institution” means the financial institution which enters into the alternative finance arrangements.
Commencement Information
I3 Sch. 7 para. 19 in force at 1.4.2015 by S.S.I. 2015/108 , art. 2
20SSection 1124 of the Corporation Tax Act 2010 (c.4) applies for determining who has control of the relevant financial institution.
Commencement Information
I4 Sch. 7 para. 20 in force at 1.4.2015 by S.S.I. 2015/108 , art. 2
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