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Taxation (International and Other Provisions) Act 2010

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Changes over time for: Part 2

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Part 2U.K.Transfer pricing: index of defined expressions used in Part 4

the actual provision (in Part 4)section 149
the advantaged person (in Chapter 4 of Part 4)section 174(1)
the affected persons (in Part 4)section 149(1), (2)
the arm's length provision (in Part 4)section 151
control (of a body corporate or firm) (in Part 4)section 217
the disadvantaged person (in Chapter 4 of Part 4)section 174(1)
firm (in Part 4)section 217(8)
the guarantor company (in Chapter 5 of Part 4)section 191(5)
the issuing company (in Chapter 5 of Part 4)section 191(5)
losses (in Part 4)section 156(1)
medium-sized enterprise (in Chapter 3 of Part 4)section 172
participation (direct or indirect) in the management, control or capital of another person (in Part 4)Chapter 2 of Part 4
potential advantage in relation to United Kingdom taxation (in Part 4)section 155(2)
profits (in Part 4)section 156(2)
the relevant activities (in Part 4)section 216
relevant notice (in Chapter 4 of Part 4)section 190
section 182 claim (in Part 4)section 181(3)
the security (in Chapter 5 of Part 4)section 191(5)
small enterprise (in Chapter 3 of Part 4)section 172
transaction, and series of transactions (in Part 4)section 150
transfer pricing notice (in Chapter 3 of Part 4)section 168(2)

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