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Version Superseded: 24/02/2022
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(1)This section applies if—
(a)the surrendering company and the claimant company have an agreement between them in relation to losses and other amounts of the surrendering company (“the agreed loss amounts”),
(b)group relief is given to the claimant company in relation to the agreed loss amounts, and
(c)as a result of the agreement the claimant company makes a payment to the surrendering company that does not exceed the total amount of the agreed loss amounts.
(2)The payment—
(a)is not to be taken into account in determining the profits or losses of either company for corporation tax purposes, and
(b)for corporation tax purposes is not to be regarded as a distribution.
References in CAA 2001 (apart from Parts 6 and 10) to an allowance include references to an allowance which would be made—
(a)but for the giving of group relief, or
(b)but for that and for a lack of profits or other income.
(1)In this Part “trading company” means a company the business of which consists wholly or mainly in the carrying on of a trade or trades.
(2)In this Part “holding company” means a company the business of which consists wholly or mainly in the holding of shares or securities of companies that—
(a)are its 90% subsidiaries (see section 151), and
(b)are trading companies.
(1)For the purposes of this Part activities of a company are double taxation exempt for an accounting period if, because of double taxation arrangements, the income and chargeable gains (if any) arising for that period from the activities are to be ignored in determining the company's chargeable profits for that period.
(2)In determining if any activities are double taxation exempt, assume that any claim that must be made before effect is given to any provision of double taxation arrangements is made.
(3)“Double taxation arrangements” means arrangements which have effect under section 2(1) of TIOPA 2010 (double taxation relief by agreement with territories outside the United Kingdom).
(1)In this Part “non-UK tax” means a tax chargeable under the law of a territory outside the United Kingdom which—
(a)is charged on income and corresponds to United Kingdom income tax, or
(b)is charged on income or chargeable gains or both and corresponds to United Kingdom corporation tax.
(2)A tax is not outside the scope of subsection (1) by reason only that it—
(a)is chargeable under the law of a province, state or other part of a country, or
(b)is levied by or on behalf of a municipality or other local body.
(1)In this Part—
“the claimant company ” has the meaning given by section 130(2) or 135(2) (as the case may be),
“the claim period” has the meaning given by section 130(2) or 135(2) (as the case may be),
“company” means any body corporate[F1(except in [F2sections 156(2A) and 169(3)]] ,
“group relief” has the meaning given by section 97(2),
“profits” means income and chargeable gains, except in so far as the context otherwise requires,
“the surrenderable amounts” has the meaning given by section 99(7) or 113(5) (as the case may be),
“surrendering company” has the meaning given by section 99(7) or 113(5) (as the case may be), and
“the surrender period” has the meaning given by section 99(7) or 113(5) (as the case may be).
(2)In this Part, except in so far as the context otherwise requires—
(a)references to a trade include an office, and
(b)references to carrying on a trade include holding an office.
Textual Amendments
F1Words in s. 188(1) inserted (with effect in accordance with s. 31(4) of the amending Act) by Finance Act 2013 (c. 29), s. 31(3)
F2Words in s. 188(1) substituted (with effect in accordance with s. 40(4) of the amending Act) by Finance Act 2014 (c. 26), s. 40(3)
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