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42(1)In section 797 of that Act (limits on credit for foreign tax in the case of corporation tax), after subsection (3) there shall be inserted the following subsections—U.K.
“(3A)Where, in a case to which section 797A does not apply, a company has a non-trading deficit on its loan relationships for the relevant accounting period, then for the purposes of subsection (3) above that deficit shall be treated, to the extent that it is an amount to which a claim under—
(a)subsection (2)(a) of section 83 of the Finance Act 1996 (deficit set against current year profits), or
(b)paragraph 4(2) of Schedule 11 to that Act (set-off of deficits in the case of insurance companies),
relates, as an amount that can in that period be set against profits of any description but can be allocated in accordance with subsection (3) above only to the profits against which it is set off in pursuance of the claim.
(3B)For the purposes of subsection (3) above, where—
(a)section 797A does not apply in the case of any company, and
(b)any amount is carried forward to the relevant accounting period in pursuance of a claim under subsection (2)(d) of section 83 of the Finance Act 1996 or in accordance with subsection (3) of that section,
then that amount must be allocated to non-trading profits of the company for that period (so far as they are sufficient for the purpose) and cannot be allocated to any other profits.”
(2)After subsection (5) of that section there shall be inserted the following subsection—
“(6)In this section “non-trading profits” has the same meaning as in paragraph 4 of Schedule 8 to the Finance Act 1996.”
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