CFM56000 | Derivative contracts: tax avoidance: Contents
From HM Revenue & Customs · Corporate Finance Manual
Contents16 entries
- CFM56005Derivative contracts: tax avoidance: overview of anti-avoidance rules
- CFM56010Derivative contracts: tax avoidance: unallowable purposes: overview
- CFM56020Taxing derivative contracts: tax avoidance: meaning of ‘unallowable purpose’
- CFM56030Derivative contracts: tax avoidance: unallowable purposes: allowance of accumulated net losses
- CFM56040Derivative contracts: tax avoidance: allowance of accumulated net losses: examples
- CFM56050Derivative contracts: tax avoidance: transfer pricing and derivative contracts
- CFM56060Derivative contracts: tax avoidance: exchange gains and losses where Sch 28AA applies
- CFM56070Derivative contracts: tax avoidance: transfers of value to connected companies
- CFM56080Derivative contracts: tax avoidance: transfers of value to connected companies: example
- CFM56090Derivative contracts: tax avoidance: derivative contracts with non-residents
- CFM56100Derivative contracts: tax avoidance: consideration not fully recognised by accounting practice
- CFM56110Derivative contracts: tax avoidance: amounts not fully recognised for accounting purposes
- CFM56112Derivative contracts: tax avoidance: amounts not fully recognised for accounting purposes: conditions A to C
- CFM56114Derivative contracts: tax avoidance: amounts not fully recognised for accounting purposes: periods beginning on or after 6 December 2010
- CFM56116Derivative contracts: tax avoidance: amounts not fully recognised for accounting purposes: no debits for derecognition
- CFM56118Derivative contracts: tax avoidance: amounts not fully recognised for accounting purposes: commencement