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Corporation Tax Act 2010

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Changes over time for: Section 692

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Point in time view as at 16/11/2017.

Changes to legislation:

Corporation Tax Act 2010, Section 692 is up to date with all changes known to be in force on or before 01 March 2025. 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. Help about Changes to Legislation

692Introduction to ChapterU.K.
This section has no associated Explanatory Notes

(1)This Chapter applies if—

(a)there is a change in the ownership of a company with investment business (“the company”), and

[F1(b)the following are met—

  • condition 1, and

  • conditions 2 and 3 or condition 4.]

(2)Condition 1 is that none of conditions A to C in section 677 is met.

(3)Condition 2 is that after the change in ownership the company acquires an asset from another company in circumstances such that—

(a)section 171(1) of TCGA 1992 (no gain/no loss on transfer within group), or

(b)section 775 of CTA 2009 (tax-neutral transfer within group),

applies to the acquisition.

(4)Condition 3 is that—

(a)in a case within subsection (3)(a), a chargeable gain accrues to the company on a disposal of the asset within the period of [F25] years beginning with the change in ownership, or

(b)in a case within subsection (3)(b), there is a non-trading chargeable realisation gain on the realisation of the asset within that period.

[F3(4A)Condition 4 is that a chargeable gain on a disposal of an asset within the period of 5 years beginning immediately after the change in ownership (or an amount of such a gain) is treated as accruing to the company by virtue of an election under section 171A of TCGA 1992 (election to reallocate gain or loss to another member of the group).

(Accordingly, references in this Chapter to the accrual of a relevant gain are to be read in the light of section 171B(2) and (3) of TCGA 1992.)]

(5)For the purposes of subsection (4), an asset (P) acquired by the company as mentioned in subsection (3) is treated as the same as an asset (Q) owned at a later time by the company if the value of Q is derived in whole or in part from P.

(6)In particular, P is treated as the same as Q for those purposes if—

(a)Q is a freehold,

(b)P was a leasehold, and

(c)the lessee has acquired the reversion.

(7)In this Chapter—

  • the change in ownership” means the change in ownership mentioned in subsection (1),

  • the company” has the same meaning as in this section,

  • non-trading chargeable realisation gain” means a chargeable realisation gain (within the meaning of Part 8 of CTA 2009 (intangible fixed assets)) which is a non-trading credit for the purposes of that Part (see section 746 of that Act),

  • realisation” has the meaning given by section 734 of CTA 2009, and

  • the relevant gain” means the gain [F4(or amount of a gain) within subsection (4)(a) or (b) or (4A)] .

Textual Amendments

F1S. 692(1)(b) substituted (with effect in accordance with Sch. 4 para. 190 of the amending Act) by Finance (No. 2) Act 2017 (c. 32), Sch. 4 para. 84(2) (with Sch. 4 para. 84(6))

F2Word in s. 692(4)(a) substituted (with effect in accordance with Sch. 4 para. 190 of the amending Act) by Finance (No. 2) Act 2017 (c. 32), Sch. 4 para. 84(3) (with Sch. 4 para. 84(6))

F3S. 692(4A) inserted (with effect in accordance with Sch. 4 para. 190 of the amending Act) by Finance (No. 2) Act 2017 (c. 32), Sch. 4 para. 84(4) (with Sch. 4 para. 84(6))

F4Words in s. 692(7) substituted (with effect in accordance with Sch. 4 para. 190 of the amending Act) by Finance (No. 2) Act 2017 (c. 32), Sch. 4 para. 84(5) (with Sch. 4 para. 84(6))

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