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Part 13U.K.Tax avoidance

Chapter 1U.K.Transactions in securities

Person liable to counteraction of income tax advantagesU.K.

684Person liable to counteraction of income tax advantageU.K.

(1)This section applies to a person in respect of a transaction in securities or two or more such transactions if the person is in a position to obtain or has obtained an income tax advantage—

(a)in circumstances where any of the provisions specified in subsection (2) applies in relation to the person, and

(b)in consequence of—

(i)the transaction, or

(ii)the combined effect of the transactions.

(2)The provisions are—

(3)For the purposes of this Chapter an income tax advantage is treated as obtained or obtainable by a person in consequence of—

(a)a transaction in securities, or

(b)the combined effect of two or more such transactions,

if it is obtained or obtainable by the person in consequence of the combined effect of the transaction or transactions and the liquidation of a company.

(4)This section is subject to—

Textual Amendments

F1S. 684(2) entry omitted (21.7.2008 with effect in accordance with s. 66(5) of the amending Act) by virtue of Finance Act 2008 (c. 9), s. 66(2)(a)

685Exception where no tax avoidance object shownU.K.

(1)Section 684 does not apply to a person in respect of a transaction in securities or two or more such transactions if the person shows that the transaction or transactions meet conditions A and B.

(2)Condition A is that the transaction or transactions are effected—

(a)for genuine commercial reasons, or

(b)in the ordinary course of making or managing investments.

(3)Condition B is that enabling income tax advantages to be obtained is not the main object or one of the main objects of the transaction or, as the case may be, any of the transactions.