Income Tax Act 2007

233Acquisition of share capitalU.K.
This adran has no associated Nodiadau Esboniadol

(1)Any EIS relief attributable to any shares in a company held by an individual is withdrawn if —

(a)the company comes to acquire all of the issued share capital of another company at any time in period A, and

(b)the individual is a person, or one of a group of persons, to whom subsection (2) applies.

(2)This subsection applies to any person or group of persons who—

(a)control or have, at any time in period A, controlled the company, and

(b)is or are a person or group of persons who, at any such time, controlled the other company.

(3)In determining whether any EIS relief attributable to any shares in the issuing company held by an individual who—

(a)is a director of, or of a company which is a partner of, the issuing company or any qualifying subsidiary, and

(b)is in receipt of, or entitled to receive, remuneration as such a director falling within section 169(2),

is to be withdrawn, the reference in subsection (2)(b) to any time in period A is to be read as a reference to any time before the end of period A.

(4)Section 167(3) applies for the purposes of subsection (3) as it applies for the purposes of section 168, and in subsection (3) “remuneration” includes any benefit or facility.