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Changes over time for: Section 371IF


Timeline of Changes
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Status:
Point in time view as at 16/11/2017.
Changes to legislation:
There are currently no known outstanding effects for the Taxation (International and Other Provisions) Act 2010, Section 371IF.

Changes to Legislation
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[371IFDetermining the profits of a qualifying loan relationshipU.K.
This section has no associated Explanatory Notes
Take the following steps to determine the profits of a qualifying loan relationship for the purposes of this Chapter.
Step 1 Determine the credits from the qualifying loan relationship which are brought into account in determining the CFC's non-trading finance profits. The result is “the step 1 credits”.
Step 2 Determine the credits and debits which are brought into account in determining the CFC's non-trading finance profits so far as they—
(a)
are from any derivative contract or other arrangement (other than a qualifying loan relationship) entered into by the CFC as a hedge of risk in connection with the qualifying loan relationship, and
(b)
are attributable to the hedge of risk.
If the credits exceed the debits add the excess to the step 1 credits and if the debits exceed the credits subtract the deficit from the step 1 credits. The result is “the step 2 credits”.
Step 3 Allocate to the qualifying loan relationship a just and reasonable proportion of the credits from the CFC's relevant debtor relationships which are brought into account in determining the CFC's non-trading finance profits (so far as not reflected in the step 2 credits). Add the credits to the step 2 credits. The result is “the step 3 credits”. A debtor relationship of the CFC is “relevant” if the loan which is the subject of it is used by the CFC to fund the loan which is the subject of the qualifying loan relationship
Step 4 Allocate to the qualifying loan relationship a just and reasonable proportion of the credits and debits which are brought into account in determining the CFC's non-trading finance profits so far as they—
(a)
are from any derivative contract or other arrangement (other than a qualifying loan relationship or a relevant debtor relationship) entered into by the CFC as a hedge of risk in connection with a relevant debtor relationship, and
(b)
are attributable to the hedge of risk.
If the credits exceed the debits add the excess to the step 3 credits and if the debits exceed the credits subtract the deficit from the step 3 credits. The result is “the step 4 credits”.
Step 5 Allocate to the qualifying loan relationship a just and reasonable proportion of—
(a)
the debits from the CFC's loan relationships which are brought into account in determining the CFC's non-trading finance profits (so far as not reflected in the step 4 credits), and
(b)
any amounts set off under Chapter 16 [or Chapter 16A] of Part 5 of CTA 2009 (non-trading deficits) against amounts which, apart from the set off, would be included in the CFC's non-trading finance profits.
Reduce the step 4 credits accordingly to give the profits of the qualifying loan relationship.]
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