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(1)Income is treated as arising to such an individual as is referred to in section 727(1) in a tax year for income tax purposes if—
(a)income has become the income of a person abroad as a result of—
(i)a relevant transfer,
(ii)one or more associated operations, or
(iii)a relevant transfer and one or more associated operations, and
(b)the capital receipt conditions are met in respect of the individual in the tax year (see section 729).
(2)Section 725 (reduction in amount charged where controlled foreign company involved) applies for determining the amount of income treated as arising under subsection (1) as it applies for determining the amount so treated under section 721(1).
(3)It does not matter for the purposes of this section—
(a)whether the income would be chargeable to income tax apart from section 727,
(b)whether the individual is ordinarily UK resident at the time when the relevant transfer abroad is made, or
(c)whether the avoiding of liability to income tax is a purpose for which that transfer is effected.
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