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SCHEDULES

SCHEDULE 8Minor and consequential amendments

Part 10Factoring of income etc

Income and Corporation Taxes Act 1988 (c. 1)

264ICTA is amended as follows.

265Omit sections 774A to 774G (factoring of income receipts etc).

266Omit section 786 (transactions associated with loans or credit).

Taxation of Chargeable Gains Act 1992 (c. 12)

267TCGA 1992 is amended as follows.

268(1)Amend section 263E (structured finance arrangements) as follows.

(2)In subsection (1)(a) for “section 774B of the Taxes Act” substitute “section 809BZB or 809BZC of ITA 2007”.

(3)In subsection (6) in the definition of “the borrower” for “section 774A of the Taxes Act” substitute “the defining section”.

(4)In subsection (6) after the definition of “the borrower” insert—

(5)In subsection (6) in the definition of “the lender” for “that section” substitute “the defining section”.

(6)In subsection (6) in the definition of “security” for “subsection (2)(c) and (d) of that section” substitute “subsection (2)(b) and (c) of the defining section”.

Income Tax (Trading and Other Income) Act 2005 (c. 5)

269ITTOIA 2005 is amended as follows.

270After section 281 insert—

281ASums to which sections 277 to 281 do not apply

(1)This section applies if a grant of a lease constitutes a disposal of an asset for the purposes of section 809BZA(2)(b) or 809BZF(2)(a) of ITA 2007 (disposals under finance arrangements).

(2)Sections 277 to 281 do not apply in relation to a premium paid in respect of the grant.

Income Tax Act 2007 (c. 3)

271ITA 2007 is amended as follows.

272In section 2(13) (overview of Part 13) omit the “or” after paragraph (e), and after paragraph (f) insert—

(g)finance arrangements (Chapter 5B),

(h)loan or credit transactions (Chapter 5C),.

273For section 809AZE (transfers of income streams: exception for transfer by way of security) substitute—

809AZEException: transfer by way of security

(1)This Chapter does not apply if—

(a)the consideration for the transfer is the advance under a type 1 finance arrangement, and

(b)the transferor is, or is a member of a partnership which is, the borrower in relation to the arrangement.

(2)This Chapter does not apply if—

(a)the consideration for the transfer is the advance under a type 2 finance arrangement or a type 3 finance arrangement, and

(b)the transferor is a member of the partnership which receives that advance under the arrangement.

(3)In this section—

274(1)Amend section 1016(2) (table of provisions to which section applies) as follows.

(2)In Part 2 of the table at the appropriate place insert—

Section 809CZC(2)Income transferred under a loan or credit transaction

(3)In Part 3 of the table omit the entry for section 786(5)(a) of ICTA.

275In Schedule 4 (index of defined expressions) at the appropriate places insert—

accounts (in Chapter 5B of Part 13)section 809BZQ”
“arrangements (in Chapter 5B of Part 13)section 809BZR”
“disposal of an asset (in Chapter 5B of Part 13)section 809BZS(3)”
“payments in respect of an asset (in Chapter 5B of Part 13)section 809BZS(4)”
“person involved in a relevant change (in Chapter 5B of Part 13)section 809BZG(5)”
“person receiving an asset (in Chapter 5B of Part 13)section 809BZS(2)”
“relevant change in relation to a partnership (in Chapter 5B of Part 13)section 809BZG”
“type 1 finance arrangement (in Chapter 5B of Part 13)section 809BZA”
“type 2 finance arrangement (in Chapter 5B of Part 13)section 809BZF”
“type 3 finance arrangement (in Chapter 5B of Part 13)section 809BZJ.