SCHEDULES

SCHEDULE 5Corporate interest restriction

PART 3Consequential amendments

TIOPA 2010: other amendments

24

In Schedule 11, at the end insert—

“PART 7Corporate interest restriction: index of defined expressions used in Part 10

abbreviated interest restriction return (in Part 10)

paragraph 20 of Schedule 7A

abbreviated return election (in Part 10)

paragraph 19 of Schedule 7A

accounting period (in Part 10)

Chapter 2 of Part 2 of CTA 2009 (applied by section 1119 of CTA 2010)

adjusted net group-interest expense of a worldwide group (in Part 10)

section 413

aggregate net tax-interest expense of a worldwide group (in Part 10)

section 390

aggregate net tax-interest income of a worldwide group (in Part 10)

section 390

aggregate tax-EBITDA of a worldwide group (in Part 10)

section 405

allocated reactivation of company for period of account (in Part 10)

paragraph 25 of Schedule 7A

allowable loss (in Part 10)

TCGA 1992 (applied by section 1119 of CTA 2010)

associated (in Chapter 8 of Part 10)

section 449(2)

amount available for reactivation of company in period of account (in Part 10)

paragraph 26 of Schedule 7A

available, in relation to interest allowance (in Chapter 4 of Part 10)

section 393

balance sheet (in Chapter 8 of Part 10)

section 449(1)

chargeable gain (in Part 10)

TCGA 1992 (applied by section 1119 of CTA 2010)

the Commissioners (in Part 10)

section 494(1)

company (in Part 10)

section 1121 of CTA 2010

company tax return (in Schedule 7A)

paragraph 73 of Schedule 7A

consenting company (in Part 10)

paragraph 10 of Schedule 7A

consolidated partnership (in Part 10)

section 430

consolidated subsidiary of another entity (in Part 10)

section 475

derivative contract (in Part 10)

Part 7 of CTA 2009 (applied by section 1119 of CTA 2010)

disallowed, in relation to tax-interest expense amount (in Part 10)

section 378

drawn up on acceptable principles, in relation to financial statements (in Chapter 11 of Part 10)

section 481

fair value accounting (in Part 10)

section 494(1)

fair value (in Part 10)

section 494(1)

filing date, in relation to a period of account of a worldwide group (in Part 10)

paragraph 7(5) of Schedule 7A

finance lease (in Part 10)

section 494(1)

financial asset (in Chapter 8 of Part 10)

section 449(1)

financial statements of a worldwide group (in Part 10)

section 479

fixed ratio method (in Part 10)

section 397

for accounting purposes (in Part 10)

section 1127(4) of CTA 2010

full interest restriction return (in Part 10)

paragraph 20 of Schedule 7A

generally accepted accounting practice (in Part 10)

section 1127(1) and (3) of CTA 2010

group-EBITDA (chargeable gains) election (in Part 10)

paragraph 15 of Schedule 7A

group ratio election (in Part 10)

paragraph 13 of Schedule 7A

group ratio (blended) election (in Part 10)

paragraph 14 of Schedule 7A

group ratio method (in Part 10)

section 398

group ratio percentage (in Part 10)

section 399

IAS financial statements (in Part 10)

section 488

impairment loss (in Part 10)

section 391

income (in Part 10)

section 1119 of CTA 2010

insurance company (in Part 10)

section 141 of FA 2012

interest allowance of a worldwide group (in Part 10)

section 396

interest allowance (alternative calculation) election (in Part 10)

paragraph 16 of Schedule 7A

interest allowance (consolidated partnerships) election (in Part 10)

paragraph 18 of Schedule 7A

interest allowance (non-consolidated investment) election (in Part 10)

paragraph 17 of Schedule 7A

interest capacity of a worldwide group (in Part 10)

section 392

interest reactivation cap of a worldwide group (in Part 10)

section 373

interest restriction return (in Part 10)

section 494(1)

international accounting standards (in Part 10)

section 1127(5) of CTA 2010

investor in a worldwide group (in Part 10)

section 404

loan relationship (in Part 10)

Part 5 of CTA 2009 (applied by section 1119 of CTA 2010)

loan relationships or other financing arrangements (in Chapter 8 of Part 10)

section 449(1)

local authority (in Part 10)

section 1130 of CTA 2010

local authority association (in Part 10)

section 1131 of CTA 2010

member of a worldwide group (in Part 10)

section 473(4)(a)

multi-company worldwide group (in Part 10)

section 473(4)(d)

net group-interest expense of a worldwide group (in Part 10)

section 410

net tax-interest expense of a company (in Part 10)

section 389

net tax-interest income of a company (in Part 10)

section 389

non-consenting company (in Part 10)

paragraph 10 of Schedule 7A

non-consolidated associate of a worldwide group (in Part 10)

section 429

non-consolidated subsidiary of an entity (in Part 10)

section 475

notice (in Part 10)

section 1119 of CTA 2010

party to a loan relationship (in Part 10)

section 494(2)

period of account of a worldwide group (in Part 10)

section 480

profit before tax, of a worldwide group (in Chapter 7 of Part 10)

section 416

pro-rata share of company (of total disallowed amount) (in Part 10)

paragraph 23 of Schedule 7A

pro-rata share of accounting period (of total disallowed amount) (in Part 10)

paragraph 24 of Schedule 7A

provision (in relation to a public infrastructure asset) (in Chapter 8 of Part 10)

section 436

public infrastructure asset (in Chapter 8 of Part 10)

section 436

qualifying charitable donation (in Part 10)

Part 6 of CTA 2010 (applied by section 1119 of CTA 2010)

qualifying infrastructure company (in Chapter 8 of Part 10)

section 433

qualifying infrastructure activity (in Chapter 8 of Part 10)

section 436

qualifying net group-interest expense of a worldwide group (in Part 10)

section 414

recognised, in financial statements (in Part 10)

section 489

recognised stock exchange (in Part 10)

section 1137 of CTA 2010

registered pension scheme (in Part 10)

section 150(2) of FA 2004 (applied by section 1119 of CTA 2010)

related party (in Part 10)

sections 462 to 472

related party investor (in Part 10)

section 404

relevant asset (in Chapter 7 of Part 10)

section 417

relevant accounting period (in Part 10)

section 490

relevant expense amount (in Chapter 7 of Part 10)

section 411

relevant income amount (in Chapter 7 of Part 10)

section 411

relevant public body (in Part 10)

section 491

reporting company (in Part 10)

section 494(1)

the return period (in Part 10)

section 494(1)

service concession agreement (in Part 10)

section 494(1)

share, of an investor in a worldwide group (in Part 10)

section 404

single-company worldwide group (in Part 10)

section 473(4)(c)

subject to interest reactivations (in Part 10)

section 373

subject to interest restrictions (in Part 10)

section 373

tax (in Part 10)

section 1119 of CTA 2010

tax-EBITDA of a company (in Part 10)

section 406

tax-interest expense amount of a company (in Part 10)

section 382

tax-interest income amount of a company (in Part 10)

section 385

trade (in Part 10)

section 1119 of CTA 2010

total disallowed amount of a worldwide group (in Part 10)

section 373

UK generally accepted accounting practice (in Part 10)

section 1127(2) of CTA 2010

UK group company (in Part 10)

section 492

UK property business (in Part 10)

Chapter 2 of Part 4 of CTA 2009 (applied by section 1119 of CTA 2010)

the UK sector of the continental shelf (in Chapter 8 of Part 10)

section 449(1)

the ultimate parent, of a worldwide group (in Part 10)

section 473(4)(b)

unexpired (in Chapter 4 of Part 10)

section 395

United Kingdom (in Part 10)

section 1170 of CTA 2010

used (in Chapter 4 of Part 10)

section 394

within the charge to corporation tax (in Part 10)

section 1167 of CTA 2010

wholly-owned subsidiary (in Part 10)

section 494(1)

a worldwide group (in Part 10)

section 473”