Part 6U.K.Relationships treated as loan relationships etc

Chapter 6U.K.Alternative finance arrangements

Treatment for other tax purposesU.K.

520Provision not at arm's length: non-deductibility of relevant returnU.K.

(1)This section applies if arrangements to which section 508 (provision not at arm's length: exclusion of arrangements from sections 503 to 507) applies would, but for that section, be alternative finance arrangements.

(2)A company paying relevant return under the arrangements is not entitled toβ€”

(a)any deduction in calculating profits or gains for corporation tax purposes, or

(b)any deduction [F1from] total profits,

in respect of the relevant return.

(3)In this section β€œrelevant return” has the same meaning as in section 508 (see subsection (3) of that section).

Textual Amendments

F1Word in s. 520(2)(b) substituted (with effect in accordance with s. 1184(1) of the amending Act) by Corporation Tax Act 2010 (c. 4), s. 1184(1), Sch. 1 para. 633 (with Sch. 2)