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Part 13U.K.Tax avoidance

Chapter 2U.K.Transfer of assets abroad

Modifications etc. (not altering text)

C1Pt. 13 Ch. 2 applied by 1988 c. 1, s. 762ZA (as inserted (21.7.2008 with effect in accordance with Sch. 7 para. 98 of the amending Act) by Finance Act 2008 (c. 9), Sch. 7 para. 94)

C2Pt. 13 Ch. 2 applied (with effect in accordance with art. 1(2)(3) Sch. 1 of the amending S.I.) by The Offshore Funds (Tax) Regulations 2009 (S.I. 2009/3001), regs. 1(1), 21

Exemptions: no tax avoidance purpose or genuine commercial transactionU.K.

737Exemption: all relevant transactions post-4 December 2005 transactionsU.K.

(1)This section applies if all the relevant transactions are post-4 December 2005 transactions.

(2)An individual is not liable to income tax under this Chapter for the tax year by reference to the relevant transactions if the individual satisfies an officer of Revenue and Customs—

(a)that Condition A is met, or

(b)in a case where Condition A is not met, that Condition B is met.

(3)Condition A is that it would not be reasonable to draw the conclusion, from all the circumstances of the case, that the purpose of avoiding liability to taxation was the purpose, or one of the purposes, for which the relevant transactions or any of them were effected.

(4)Condition B is that—

(a)all the relevant transactions were genuine commercial transactions (see section 738), and

(b)it would not be reasonable to draw the conclusion, from all the circumstances of the case, that any one or more of those transactions was more than incidentally designed for the purpose of avoiding liability to taxation.

(5)In determining the purposes for which the relevant transactions or any of them were effected, the intentions and purposes of any person within subsection (6) are to be taken into account.

(6)A person is within this subsection if, whether or not for consideration, the person—

(a)designs or effects, or

(b)provides advice in relation to,

the relevant transactions or any of them.

(7)In this section—

(8)If—

(a)apart from this subsection, an associated operation would not be taken into account for the purposes of this section, and

(b)the conditions in subsections (2) to (4) are not met if it is taken into account, because of—

(i)the associated operation, or

(ii)the associated operation taken together with any other relevant transactions,

it must be taken into account for those purposes.