C1C2Part 14Change in company ownership

Annotations:
Modifications etc. (not altering text)
C1

Pt. 14 applied (1.4.2022 in relation to accounting periods beginning on or after that date) by Finance Act 2022 (c. 3), s. 51(1), Sch. 7 para. 20

C2

Pt. 14 applied (with modifications) (14.7.2022) by Energy (Oil and Gas) Profits Levy Act 2022 (c. 40), Sch. 1 para. 18 (with ss. 15(1), 16(1), 17)

Chapter 8Supplementary provision

730Meaning of “relevant non-trading debit”

1

This section applies for the purposes of sections 679 F1, 696 and 705C .

2

Relevant non-trading debit” means a non-trading debit within subsection (3), (4) or (5).

3

A non-trading debit is within this subsection if—

a

it is determined on an amortised cost basis of accounting,

b

section 407 or 409 of CTA 2009 (postponement until redemption of debits for connected or close companies' deeply discounted securities) applies, and

c

were it not for those sections, the debit would have fallen to be brought into account for the purposes of Part 5 of that Act (loan relationships) for an accounting period ending before or with the change in ownership mentioned in section 679 F2 , 696 or 705C .

4

A non-trading debit is within this subsection if—

a

it is determined on an amortised cost basis of accounting,

b

section 373 of CTA 2009 (late interest treated as not accruing until paid in some cases) applies, and

c

were it not for that section, the debit would have fallen to be brought into account for the purposes of Part 5 of that Act for an accounting period ending before or with the change in ownership mentioned in section 679 F3 , 696 or 705C .

5

A non-trading debit is within this subsection if—

a

it is not within subsection (3) or (4),

b

it is a debit in respect of a debtor relationship of the company mentioned in section 679 F4 , 696 or 705C ,

c

it is determined on an amortised cost basis of accounting, and

d

it relates to an amount that accrued before the change in ownership so mentioned.

6

Expressions used both in this section and in Part 5 of CTA 2009 (loan relationships) have the same meaning as in that Part.