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Corporation Tax Act 2009

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Version Superseded: 18/11/2015

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Chapter 10U.K.Trade profits: changes in trading stock

IntroductionU.K.

156Meaning of “trading stock”U.K.

(1)In this Chapter “trading stock”, in relation to a trade, means anything (whether land or other property)—

(a)which is sold in the ordinary course of the trade, or

(b)which would be so sold if it were mature or its manufacture, preparation or construction were complete.

(2)It does not include—

(a)materials used in the manufacture, preparation or construction of any such thing,

(b)any services performed in the ordinary course of the trade, or

(c)any article produced, or any material used, in the performance of any such services.

Transfers of trading stock between trade and traderU.K.

157Trading stock appropriated by traderU.K.

(1)This section applies if trading stock of a company's trade is appropriated by the company for any other purpose.

(2)In calculating the profits of the trade—

(a)the amount which the stock appropriated would have realised if sold in the open market at the time of the appropriation is brought into account as a receipt, and

(b)the value of anything in fact received for it is left out of account.

(3)The receipt is treated as arising on the date of the appropriation.

158Trading stock supplied by traderU.K.

(1)This section applies if something that—

(a)belongs to a company carrying on a trade, but

(b)is not trading stock of the trade,

becomes trading stock of the trade.

(2)In calculating the profits of the trade—

(a)the cost of the stock is taken to be the amount which it would have realised if sold in the open market at the time it became trading stock of the trade, and

(b)the value of anything in fact given for it is left out of account.

(3)The cost is treated as being incurred on the date it became trading stock of the trade.

Other disposals and acquisitions not made in the course of tradeU.K.

159Disposals not made in the course of tradeU.K.

(1)This section applies if—

(a)trading stock of a trade is disposed of otherwise than in the course of the trade, and

(b)section 157 does not apply.

(2)In calculating the profits of the trade—

(a)the amount which the stock disposed of would have realised if sold in the open market at the time of the disposal is brought into account as a receipt, and

(b)any consideration obtained for it is left out of account.

(3)The receipt is treated as arising on the date of the disposal.

(4)This section is subject to section 161.

160Acquisitions not made in the course of tradeU.K.

(1)This section applies if—

(a)trading stock of a trade has been acquired otherwise than in the course of the trade, and

(b)section 158 does not apply.

(2)In calculating the profits of the trade—

(a)the cost of the stock is taken to be the amount which it would have realised if sold in the open market at the time of the acquisition, and

(b)the value of anything in fact given for it is left out of account.

(3)The cost is treated as being incurred on the date of the acquisition.

(4)This section is subject to section 161.

Relationship with transfer pricing rulesU.K.

161Transfer pricing rules to take precedenceU.K.

(1)Section 159 or 160 does not apply if the relevant consideration—

(a)falls to be adjusted for tax purposes under [F1Part 4 of TIOPA 2010], or

(b)falls within [F2that Part] without falling to be so adjusted.

[F3(2)For the purposes of subsection (1)(b), the relevant consideration falls within Part 4 of TIOPA 2010 without falling to be adjusted under that Part if—

(a)the condition in section 147(1)(a) of TIOPA 2010 is met, and

(b)the participation condition is met (see subsection (3A)), but

(c)either—

(i)one of the conditions in section 147(1)(c) and (d) of TIOPA 2010 is not met, or

(ii)one of the exceptions mentioned in subsection (3) applies.]

(3)The exceptions are those in—

(a)section 447(5) (exchange gains or losses from loan relationships)

(b)section 694(8) (exchange gains or losses from derivative contracts),

[F4(c)section 213 of TIOPA 2010 (saving for provisions relating to capital allowances), and

(d)section 214 of TIOPA 2010 (saving for provisions relating to chargeable gains).]

[F5(3A)Section 148 of TIOPA 2010 (when the participation condition is met) applies for the purposes of subsection (2)(b) as it applies for the purposes of section 147(1)(b) of TIOPA 2010.]

(4)In this section “relevant consideration” means—

(a)in relation to section 159, the consideration for the disposal of the trading stock, and

(b)in relation to section 160, the consideration for the acquisition of the trading stock.

Textual Amendments

F1Words in s. 161(1)(a) substituted (with effect in accordance with s. 381(1) of the amending Act) by Taxation (International and Other Provisions) Act 2010 (c. 8), s. 381(1), Sch. 8 para. 124(2) (with Sch. 9 paras. 1-9, 22)

F2Words in s. 161(1)(b) substituted (with effect in accordance with s. 381(1) of the amending Act) by Taxation (International and Other Provisions) Act 2010 (c. 8), s. 381(1), Sch. 8 para. 124(3) (with Sch. 9 paras. 1-9, 22)

F3S. 161(2) substituted (with effect in accordance with s. 381(1) of the amending Act) by Taxation (International and Other Provisions) Act 2010 (c. 8), s. 381(1), Sch. 8 para. 124(4) (with Sch. 9 paras. 1-9, 22)

F4S. 161(3)(c)(d) substituted (with effect in accordance with s. 381(1) of the amending Act) by Taxation (International and Other Provisions) Act 2010 (c. 8), s. 381(1), Sch. 8 para. 124(5) (with Sch. 9 paras. 1-9, 22)

F5S. 161(3A) inserted (with effect in accordance with s. 381(1) of the amending Act) by Taxation (International and Other Provisions) Act 2010 (c. 8), s. 381(1), Sch. 8 para. 124(6) (with Sch. 9 paras. 1-9, 22)

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