PART 4Follower notices and accelerated payments

CHAPTER 2Follower notices

Defined terms

218Defined terms used in Chapter 2

For the purposes of this Chapter—

arrangements” has the meaning given by section 201(4);

the asserted advantage” has the meaning given by section 204(3);

the chosen arrangements” has the meaning given by section 204(3);

the denied advantage” has the meaning given by section 208(3);

follower notice” has the meaning given by section 204(1);

HMRC” means Her Majesty's Revenue and Customs;

“judicial ruling”, and “relevant” in relation to a judicial ruling and the chosen arrangements, have the meaning given by section 205;

relevant tax” has the meaning given by section 200;

the specified time” has the meaning given by section 208(8);

tax advantage” has the meaning given by section 201(2);

tax appeal” has the meaning given by section 203;

tax arrangements” has the meaning given by section 201(3);

tax enquiry” has the meaning given by section 202(2);

tax period” means a tax year, accounting period or other period in respect of which tax is charged;

P” has the meaning given by section 204(1);

the 30 day post-representations period” has the meaning given by section 208(8);

the 90 day post-notice period” has the meaning given by section 208(8).