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Corporation Tax Act 2009, Chapter 10 is up to date with all changes known to be in force on or before 22 November 2024. There are changes that may be brought into force at a future date. Changes that have been made appear in the content and are referenced with annotations.
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Any receipt or other credit item, so far as it falls within—
(a)Chapter 3 of this Part so far as it relates to an overseas property business or Chapter 7 or 8 of this Part (rent receivable in connection with a UK section 39(4) concern or for UK electric-line wayleaves), and
(b)Chapter 2 of Part 3 (receipts of a trade),
is dealt with under Part 3.
(1)Any receipt, so far as it falls within—
(a)Chapter 3 so far as it relates to a UK property business, and
(b)Chapter 7 (rent receivable in connection with a UK section 39(4) concern),
is dealt with under Chapter 7.
(2)Any receipt, so far as it falls within—
(a)Chapter 3 so far as it relates to a UK property business, and
(b)Chapter 8 (rent receivable for UK electric-line wayleaves),
is dealt with under Chapter 8.
(3)Any receipt, so far as it falls within Chapter 7 (rent receivable in connection with a UK section 39(4) concern) and Chapter 8 (rent receivable for UK electric-line wayleaves), is dealt with under Chapter 8.
(1)This section applies if a company starts or ceases to be within the charge to corporation tax in respect of [F1an overseas property business].
(2)The company is treated for the purposes of this Part—
(a)as starting to carry on the business when it starts to be within the charge, or
(b)as ceasing to carry on the business when it ceases to be within the charge.
Textual Amendments
F1Words in s. 289(1) substituted (6.4.2020) by Finance Act 2019 (c. 1), Sch. 5 paras. 14, 35 (with Sch. 5 para. 36)
(1)This section applies if a provision of this Part—
(a)applies to an overseas property business or land outside the United Kingdom, but
(b)is expressed by reference to a domestic concept of law.
(2)In relation to that business or land, the provision is to be read so as to produce the result most closely corresponding with that produced by the provision in relation to a UK property business or land in the United Kingdom.
(1)In this Part “lease” includes—
(a)an agreement for a lease (so far as the context permits), and
(b)any tenancy,
but does not include a mortgage.
(2)In this Part “premises” includes land.
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