- Y Diweddaraf sydd Ar Gael (Diwygiedig)
- Gwreiddiol (Fel y'i Deddfwyd)
Dyma’r fersiwn wreiddiol (fel y’i gwnaed yn wreiddiol).
Section 49
1In calculating profits or losses for corporation tax purposes, no deduction is allowed in respect of RPDT.
2An amount which is, as a result of section 40(5) or paragraph 19 of Schedule 7, not to be taken account in determining profits or losses under section 39 (adjusted trading profits and losses)—
(a)is also not to be taken into account in calculating profits or losses for the corporation tax purposes, and
(b)is not to be regarded for those purposes as a distribution.
3Chapters 1 and 3 to 6 (read in accordance with Chapters 2 and 8) of Part 4 of TIOPA 2010 (transfer pricing) apply to provision made or imposed as between an RP developer’s RPD activities and other activities carried on by it as if—
(a)those activities were carried on by two different persons,
(b)the provision were made or imposed between those persons by means of a transaction, and
(c)the two persons were both controlled by the same person at the time of the making or imposition of the provision.
4(1)Chapters 1 and 3 to 6 (read in accordance with Chapters 2 and 8) of Part 4 of TIOPA 2010 apply to provision made or imposed as between an RP developer and a relevant company by means of a transaction or series of transactions that—
(a)in relation to the RP developer, falls to be regarded as made or imposed in the course of, or with respect to, the RP developer’s RPD activities, and
(b)in relation to the relevant company, does not fall to be regarded as made or imposed in the course of, or with respect to, RPD activities carried on by that company.
(2)A company is a relevant company if it and the RP developer are under the same control at the time when the provision was made or imposed.
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