[F1PART 6AU.K.Hybrid and other mismatches

Textual Amendments

F1Pt. 6A inserted (with effect in accordance with Sch. 10 paras. 18-21 of the amending Act) by Finance Act 2016 (c. 24), Sch. 10 para. 1

CHAPTER 14U.K.Interpretation

DefinitionsU.K.

259NFDefinitionsU.K.

In this Part—

  • arrangement” includes any agreement, understanding, scheme, transaction or series of transactions (whether or not legally enforceable);

  • “CFC” and “CFC charge” have the meaning given by section 259B(4);

  • the Commissioners” means the Commissioners for Her Majesty's Revenue and Customs;

  • control group” has the meaning given by section 259NB;

  • financial instrument” has the meaning given by section 259N;

  • “foreign CFC” and “foreign CFC charge” have the meaning given by section 259B(4);

  • hybrid entity” has the meaning given by section 259BE;

  • investor”, in relation to a hybrid entity, has the meaning given by section 259BE(4);

  • investor jurisdiction” has the meaning given by section 259BE(4);

  • ordinary income” is to be read in accordance with sections 259BC and 259BD;

  • “payee”—

    (a)

    in relation to a payment, has the meaning given by section 259BB(6)(a), and

    (b)

    in relation to a quasi-payment, has the meaning given by section 259BB(6)(b);

  • payee jurisdiction” has the meaning given by 259BB(9);

  • “payer”—

    (a)

    in relation to a payment, has the meaning given by section 259BB(1)(a), and

    (b)

    in relation to a quasi-payment, has the meaning given by section 259BB(2);

  • payment” has the meaning given by section 259BB(1);

  • “payment period”—

    (a)

    in relation to a payment, has the meaning given by section 259BB(1)(b), and

    (b)

    in relation to a quasi-payment, has the meaning given by section 259BB(2);

  • permanent establishment” has the meaning given by section 259BF;

  • quasi-payment” has the meaning given by section 259BB(2) to (5);

  • related” has the meaning given by section 259NC;

  • “relevant deduction”—

    (a)

    in relation to a payment, has the meaning given by section 259BB(1)(b), and

    (b)

    in relation to a quasi-payment, has the meaning given by section 259BB(2)(a);

  • relevant investment fund” has the meaning given by section 259NA;

  • tax” has the meaning given by section 259B;

  • taxable period” means—

    (a)

    in relation to corporation tax, an accounting period,

    (b)

    in relation to income tax, a tax year,

    (c)

    in relation to the CFC charge, a relevant corporation tax accounting period (within the meaning given by section 371BC(3)),

    (d)

    in relation to a foreign CFC charge, a period (by whatever name known) that corresponds to a relevant corporation tax accounting period, and

    (e)

    in relation to any other tax, a period for which the tax is charged;

  • taxable profits” is to be read in accordance with sections 259BC(2) and 259BD(5).]