SCHEDULES

SCHEDULE 18AGroup relief: overseas losses of non-resident companies

C1Part 2Application of UK rules to non-resident company

Annotations:
Modifications etc. (not altering text)

Basic rules

11

1

The EEA amount must, on the relevant assumptions (see sub-paragraph (5)), be recalculated in accordance with the applicable UK tax rules (see paragraph 16).

2

The amount of the EEA amount that is available for surrender by the EEA company by way of group relief is so much of the appropriate part of it as does not exceed the relevant proportion (see sub-paragraph (5)) of the amount given by that recalculation.

3

But if the amount given by that recalculation is an amount of income or other profits, no part of the EEA amount is available for surrender by way of group relief.

4

So far as any part of the EEA amount is available for surrender by the EEA company by way of group relief, the provisions of this Chapter have effect in that case on the basis that the relevant assumptions are made.

5

In this paragraph—

  • “the relevant assumptions” are the assumptions set out in paragraphs 12 to 15, and

  • the relevant proportion” means the proportion that the appropriate part of the EEA amount bears to the EEA amount.