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Textual Amendments
F1S. 261F and cross-heading inserted (6.4.2007) by Income Tax Act 2007 (c. 3), s. 1034(1), Sch. 1 para. 330 (with Sch. 2)
(1)This section applies if —
(a)the repurchase price of UK shares, UK securities or overseas securities is treated by section 604(2), (4) or (5) of ITA 2007 (deemed increase in repurchase price: repos and options) as increased for the purposes of section 607 of that Act (treatment of price differences under repos),
(b)condition A or B is met, and
(c)section 263A does not apply.
(2)Condition A is that, as a result of the increase, there is no difference for the purposes of section 607 of that Act between the sale price and the repurchase price.
(3)Condition B is that, as a result of an exception in section 608 of that Act, section 607 of that Act does not apply.
(4)The deemed increase of the repurchase price also has effect for capital gains tax purposes.
(5)Expressions used in this section and in section 605 of ITA 2007 (deemed increase in repurchase price: other income tax purposes) have the same meanings in this section as in that section.]
(1)Subsections (2) and (3) apply if—
(a)section 607 of ITA 2007 (treatment of price differences under repos) applies,
(b)an amount is treated under that section as a payment of interest, and
(c)section 263A does not apply.
(2)If the repurchase price is more than the sale price, the repurchase price is treated for capital gains tax purposes as reduced by the amount of the payment of interest.
(3)If the sale price is more than the repurchase price, the repurchase price is treated for capital gains tax purposes as increased by the amount of the payment of interest.
(4)Expressions used in this section and in section 609 of ITA 2007 (additional income tax consequences of price differences under repos) have the same meanings in this section as in that section.]
Textual Amendments
F2S. 261G inserted (6.4.2007) by Income Tax Act 2007 (c. 3), s. 1034(1), Sch. 1 para. 331 (with Sch. 2)
(1)The Treasury may by regulations provide for section 261G to apply with modifications if the exception in section 608(2) of ITA 2007 (agreement not at arm's length) would otherwise prevent it from applying.
(2)Regulations under this section may make different provision for different cases.
(3)Regulations under this section may contain incidental, supplemental, consequential and transitional provision and savings.
(4)The incidental, supplemental, and consequential provision may include modifications of section 261F (deemed manufactured payments: effect on repurchase price).
(5)In this section “modifications” includes exceptions and omissions.
(6)Accordingly, the power in subsection (1) includes power to provide for any provision of section 261G not to apply in relation to the case mentioned in that subsection.]
Textual Amendments
F3S. 261H inserted (6.4.2007) by Income Tax Act 2007 (c. 3), s. 1034(1), Sch. 1 para. 332 (with Sch. 2)