SCHEDULES

F1F1F2SCHEDULE 28AA Provision not at arm’s length

Annotations:
Amendments (Textual)
F1

Sch. 28AA repealed (1.4.2010 with effect in accordance with s. 381(1) of the repealing Act) by Taxation (International and Other Provisions) Act 2010 (c. 8), Sch. 8 para. 111, Sch. 10 Pt. 2 (with Sch. 9)

F2

Sch. 28AA inserted (with effect in accordance with s. 108(5)-(7) of the amending Act) by Finance Act 1998 (c. 36), s. 108(2), Sch. 16

Exemption for small or medium-sized enterprises

C1C25B

1

Paragraph 1(2) above does not apply in computing for any chargeable period the profits and losses of a potentially advantaged person if that person is a small or medium-sized enterprise for that chargeable period (see paragraph 5D below).

2

Exceptions to sub-paragraph (1) above are provided—

a

in the case of a small enterprise, by sub-paragraphs (3) and (4) below, and

b

in the case of a medium-sized enterprise, by sub-paragraphs (3) and (4) and paragraph 5C below.

3

The first exception is where the small or medium-sized enterprise elects for sub-paragraph (1) above not to apply in relation to the chargeable period.

Any such election is irrevocable.

4

The second exception is where, at the time when the actual provision is or was made or imposed,—

a

the other affected person, or

b

a party to a relevant transaction (see sub-paragraph (5) below),

is a resident (see sub-paragraph (6) below) of a non-qualifying territory (whether or not that person is also a resident of a qualifying territory).

5

For the purposes of sub-paragraph (4) above, a “party to a relevant transaction” is a person who, in a case where the actual provision is or was imposed by means of a series of transactions, is or was a party to one or more of those transactions.

6

In this paragraph “resident”, in relation to a territory,—

a

means a person who, under the laws of that territory, is liable to tax there by reason of his domicile, residence or place of management, but

b

does not include a person who is liable to tax in that territory in respect only of income from sources in that territory or capital situated there.

7

The definitions of “qualifying territory” and “non-qualifying territory” are in paragraph 5E below.