Part 6Relationships treated as loan relationships etc

Chapter 6Alternative finance arrangements

Treatment for other tax purposes

514Exclusion of alternative finance return from consideration for sale of assets

1

If under purchase and resale arrangements an asset is sold by one party to the arrangements to the other party, the alternative finance return is excluded in determining the consideration for the sale and purchase of the asset for the purposes of the Corporation Tax Acts (apart from section 503).

2

If under diminishing shared ownership arrangements an asset is sold by one party to the arrangements to the other party, the alternative finance return is excluded in determining the consideration for the sale and purchase of the asset for the purposes of the Corporation Tax Acts (apart from section 504).

3

If under investment bond arrangements an asset is sold by one party to the arrangements to the other party, the alternative finance return is excluded in determining the consideration for the sale and purchase of the asset for the purposes of the Corporation Tax Acts (apart from section 507).

4

Subsections (1) to (3) do not affect the operation of any provision of the F1Tax Acts or TCGA 1992 which provides that the consideration for a sale or purchase is taken for any purpose to be an amount other than the actual consideration.