Greater London Authority Act 1999

This section has no associated Explanatory Notes

7E+W+SAny payment made by a relevant body to a company in pursuance of a PPP agreement shall be deemed for the purposes of the Corporation Tax Acts—

(a)in the case of the relevant body, to be an expense of a revenue, rather than a capital, nature (and deductible accordingly in computing profits under Case I of Schedule D); and

(b)in the case of the company, to be a receipt of a trade carried on by the company (and taxable accordingly under Case I of Schedule D).