Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Company Taxation Manual

CTM02000 · Corporation Tax: computation of income

  • CTM02010 · Broad principles
  • CTM02020 · IT law: pre Tax Law Rewrite
  • CTM02030 · CTA09 and CTA10
  • CTM02040 · Provisions common to IT and CT
  • CTM02050 · Dividends and other distributions made
  • CTM02060 · Dividends and other distributions received
  • CTM02100 · Special rules: commencement and cessation of trade
  • CTM02110 · Special rules: grant relief in Northern Ireland
  • CTM02120 · Special rules: mineral rights
  • CTM02130 · Special rules: trades wholly abroad and trades in partnership with foreign element
  • CTM02140 · Nominee directors' fees received by companies
  • CTM02150 · Directors' fees received by companies: assessment
  1. Corporation Tax: computation of income: contents
  2. Corporation Tax: computation of income: broad principles

CTM02010 | Corporation Tax: computation of income: broad principles

From HM Revenue & Customs · Company Taxation Manual

CTA09/S2 (4)

The Tax Law Rewrite project marked a major change of principle underlying the Corporation Tax charge on income, but without changing the calculation. Corporation Tax Act 2009 and Corporation Tax Act 2010 provide rules in place of the approach which computed income for Corporation Tax purposes in accordance with Income Tax principles, subject to some exceptions. This change recognised that the exceptions, for instance those governing loan relationships, were now of major importance. CTM02020 explains the old approach based on IT law. CTM02030 gives more detail on the replacement Acts.

The Corporation Tax Acts

ICTA88/S831 (1) contains a definition of the Corporation Tax Acts in terms of the Acts relating to the income and chargeable gains of companies, and of company distributions, including provisions relating also to income tax. This definition applies within ICTA88, but there is a definition on similar lines within the Interpretation Act 1978 (IA78/SCH1) which applies generally. The provisions for chargeable gains continue to be found mainly in TCGA92 - see TCGA92/S8. So the phrase does not just mean CTA09 and CTA10.

Next
PrivacyTerms