Finance Act 2020

Commencement

45(1)This paragraph applies in relation to a non-UK resident company which carries on a UK property business or has other UK property income—

(a)if the conditions in sub-paragraph (2) are met, and

(b)unless the company has elected that this paragraph is not to apply.

(2)The conditions are met if the company—

(a)is within the charge to income tax for the tax year 2019-20,

(b)is chargeable to corporation tax for an accounting period falling wholly within the period beginning with 1 April 2020 and ending with 5 April 2020 because of a chargeable gain accruing to the company on the disposal of an asset, and

(c)is within the charge to corporation tax on income for an accounting period beginning on 6 April 2020.

(3)For the purposes of determining the amount to be included in the company’s total profits in respect of chargeable gains for an accounting period mentioned in sub-paragraph (2)(b) or (2)(c), the reference in section 2A(1)(a) of TCGA 1992 to any allowable losses accruing to the company in the period is to be treated as including—

(a)for the purposes of an accounting period mentioned in sub-paragraph (2)(b), a reference to any allowable losses accruing to the company in the accounting period mentioned in sub-paragraph (2)(c) (so far as those losses are not otherwise deducted under section 2A(1) of TCGA 1992), and

(b)for the purposes of the accounting period mentioned in sub-paragraph (2)(c), a reference to any allowable losses accruing to the company in an accounting period mentioned in sub-paragraph (2)(b) (so far as those losses are not otherwise deducted under section 2A(1) of TCGA 1992).

(4)For the purposes of the application of Part 7ZA of CTA 2010 in relation to the accounting periods mentioned in sub-paragraphs (2)(b) and (2)(c)

(a)section 269ZYA of CTA 2010 (deductions allowance for company without a source of chargeable income) applies as if the company had made a claim under that section in respect of each accounting period mentioned in sub-paragraph (2)(b), and

(b)the company’s deductions allowance for the accounting period mentioned in sub-paragraph (2)(c) is treated as being reduced by the amount of the company’s deductions allowance for each accounting period mentioned in sub-paragraph (2)(b).