C2C1C3C4C5PART 4Follower notices and accelerated payments

Annotations:
Modifications etc. (not altering text)
C2

Pt. 4 applied (with modifications) by 1992 c. 7 (N.I.), s. 11A(1)(3) (as inserted (with effect in accordance with Sch. 1 para. 35 of the amending Act) by National Insurance Contributions Act 2015 (c. 5), Sch. 1 para. 12)

C1

Pt. 4 applied (with modifications) by 1992 c. 4, s. 11A(1)(3) (as inserted (with effect in accordance with Sch. 1 para. 35 of the amending Act) by National Insurance Contributions Act 2015 (c. 5), Sch. 1 para. 3)

C5

Pt. 4 applied (with modifications) (retrospective) by 1970 c. 9, s. 12ABZAA(4) (as inserted (17.7.2014) by 2020 c. 14, s. 104(1)(2) (with s. 104(3)))

CHAPTER 3Accelerated payment

F1Group relief claims after accelerated payment notices

Annotations:
Amendments (Textual)
F1

S. 227A and cross-heading inserted (26.3.2015) by Finance Act 2015 (c. 11), Sch. 18 para. 9

227AGroup relief claims after accelerated payment notices

1

This section applies where as a result of an accelerated payment notice given to P—

a

P was prevented from consenting to a claim for group relief in respect of an amount under section 225A(2), or

b

pursuant to section 225A(3), a consent given by P to a claim for group relief in respect of an amount was ineffective.

2

If a final determination establishes that the amount P has available to surrender consists of or includes the amount referred to in subsection (1)(a) or (b) or a part of it (“the allowed amount”)—

a

section 225A(2) and (3) (which prevents consent being given to group relief claims) ceases to apply in relation to the allowed amount, and

b

a claim for group relief in respect of any part of the allowed amount may be made within the period of 30 days after the relevant time.

3

The time limits otherwise applicable to amendment of a company tax return do not apply to an amendment to the extent that it makes a claim for group relief in respect of any part of the allowed amount within the time limit allowed by subsection (2)(b).

4

In this section—

  • final determination” means—

    1. a

      a conclusion stated in a closure notice under paragraph 34 of Schedule 18 to FA 1998 against which no appeal is made;

    2. b

      the final determination of a tax appeal within paragraph (d) or (e) of section 203;

  • relevant time” means—

    1. a

      in a case within paragraph (a) above, the end of the period during which the appeal could have been made;

    2. b

      in the case within paragraph (b) above, the end of the day on which the final determination occurs.