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Changes over time for: Cross Heading: Prospective repeal of provisions concerning exchange gains and losses from loan relationships


Llinell Amser Newidiadau
This timeline shows the different points in time where a change occurred. The dates will coincide with the earliest date on which the change (e.g an insertion, a repeal or a substitution) that was applied came into force. The first date in the timeline will usually be the earliest date when the provision came into force. In some cases the first date is 01/02/1991 (or for Northern Ireland legislation 01/01/2006). This date is our basedate. No versions before this date are available. For further information see the Editorial Practice Guide and Glossary under Help.
Status:
Point in time view as at 15/09/2011. This version of this cross heading contains provisions that are not valid for this point in time.

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Not valid for this point in time generally means that a provision was not in force for the point in time you have selected to view it on.
Changes to legislation:
There are currently no known outstanding effects for the Corporation Tax Act 2009, Cross Heading: Prospective repeal of provisions concerning exchange gains and losses from loan relationships.

Changes to Legislation
Revised legislation carried on this site may not be fully up to date. At the current time any known changes or effects made by subsequent legislation have been applied to the text of the legislation you are viewing by the editorial team. Please see ‘Frequently Asked Questions’ for details regarding the timescales for which new effects are identified and recorded on this site.
Prospective
Prospective repeal of provisions concerning exchange gains and losses from loan relationshipsU.K.
Yn ddilys o 18/11/2015
71(1)The following provisions (which rewrite provisions prospectively repealed by F(No.2)A 2005 or are related to such provisions) cease to have effect—U.K.
(a)section 306(2)(e) (introduction to section 328),
(b)section 310(5) (power to make regulations about recognised amounts: exception for exchange gains and losses),
(c)section 328 (exchange gains and losses),
(d)section 384 (treatment of exchange gains and losses),
(e)section 450(6) (meaning of “corresponding debtor relationship”: disregard of section 328(2) to (7)), and
(f)[section 151E] of TCGA 1992 (exchange gains and losses from loan relationships: regulations).
(2)For the power to make an order bringing this paragraph into force, see section 1329(3).
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