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Changes over time for: Paragraph 4
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Timeline of Changes
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Status:
Point in time view as at 24/02/2022.
Changes to legislation:
There are currently no known outstanding effects for the Finance Act 2022, Paragraph 4.
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Changes to Legislation
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Liability of associated companiesU.K.
4(1)This paragraph applies to any company, other than a company that is subject to special measures, that was associated, at any point during the disqualifying period, with a company (“the principal taxpayer”) that is liable to public interest business protection tax as a result of paragraph 1.
(2)A company is associated with another if—
(a)one of the two has control of the other, or
(b)both are under the control of the same person or persons.
(3)A company to which this paragraph applies is, together with the principal taxpayer, jointly and severally liable to public interest business protection tax.
(4)In this Schedule the “disqualifying period” means the period commencing with the day on which the first disqualifying step was taken and ending with the last day of the period in which the principal taxpayer must make a return under paragraph 8(1).
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