SCHEDULES

SCHEDULE 4U.K.Relief for carried-forward losses

PART 9 U.K.Tax avoidance

Change in company ownershipU.K.

89U.K.In section 719 (meaning of “change of ownership of a company”), after subsection (4) insert—

(4A)For the purposes of Chapters 2A to 2D there is also a change in the ownership of a company (“C”) if, as a result of the acquisition by a person of a holding of the ordinary share capital of the company, the group condition (as defined in section 188CE) is met in relation to C and another company (“A”) (which was not a member of the same group of companies as C before the acquisition).

In this subsection the reference to membership of a group of companies is to be interpreted in accordance with section 188FB.