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Changes over time for: Section 937I
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Timeline of Changes
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Status:
Point in time view as at 14/03/2012.
Changes to legislation:
Corporation Tax Act 2010, Section 937I is up to date with all changes known to be in force on or before 27 February 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.
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Changes to Legislation
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[937IA company's losses pool and profits poolU.K.
This section has no associated Explanatory Notes
(1)The amount of a company's losses pool for a risk transfer scheme as at the beginning of an accounting period (“the current accounting period”) is—
where—
A is—
(a)
the amount of the pool as at the beginning of the previous accounting period, or
(b)
if the risk transfer scheme began in the current accounting period, nil,
B is the total amount, if any, of ring-fenced scheme losses made in the previous accounting period in relation to the scheme by the company that, as a result of the application of section 937G(2) or (3), are not brought into account in that period, and
C is the total amount (if any) that, as a result of the application of section 937H(2) or (3), is brought into account in the previous accounting period in relation to the scheme by the company.
(2)The amount of a company's profits pool for a risk transfer scheme as at the beginning of an accounting period (“the current accounting period”) is—
where—
A is—
(a)
the amount of the pool as at the beginning of the previous accounting period, or
(b)
if the risk transfer scheme began in the current accounting period, nil,
B is—
(a)
the total of any relevant scheme profits made in the previous accounting period in relation to the scheme by the company, less
(b)
the total amount (if any) that, as a result of the application of section 937H(2) or (3), is brought into account in that accounting period in relation to the scheme by the company, and
C is the total amount (if any) of ring-fenced scheme losses made in the previous accounting period in relation to the scheme by the company that, as a result of the application of section 937G(3) or (5), are brought into account in that period.]
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