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PART 2 U.K.Insurance companies carrying on long-term business

CHAPTER 3U.K.The I - E basis

Definitions of expressions comprising “E”U.K.

78Section 76: meaning of other expressionsU.K.

(1)This section explains for the purposes of section 76 what is meant by—

(2)An expense is deductible under another “relevant rule” if—

(a)it is deductible as a result of section 92(3),

(b)it is deductible in calculating, for corporation tax purposes, the profits of a property business, or

(c)it is deductible as a result of section 272 of CTA 2009 in calculating income from the letting of rights to work minerals in the United Kingdom.

(3)An amount is a “deemed BLAGAB management expense for the accounting period” if it is treated as such for the purposes of section 76 as a result of—

(4)Expenses reversed in the accounting period” means the total amount of the expenses—

(a)which were relieved in any previous accounting period in accordance with step 1 (as read with step 2) or step 3 of section 76, but

(b)which are subsequently reversed in the accounting period.

(5)A “BLAGAB trade loss relieved for the accounting period” means so much of a BLAGAB trade loss of the company for the accounting period for which relief is given under—

(a)section 37 of CTA 2010 (relief for trade losses against total income), as applied by section 123, or

(b)Chapter 4 of Part 5 of that Act (group relief), as applied by section 125.