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Official guidance
VAT Land and Property

VATLP23000 · Option to tax - anti-avoidance test

  • VATLP23100 · What is the aim of the anti-avoidance test?
  • VATLP23200 · What is the test?
  • VATLP23300 · What is a 'relevant pre-commencement grant'?
  • VATLP23400 · What changes have been made to the anti-avoidance measures?
  • VATLP23500 · How does the anti-avoidance test work in practice?
  • VATLP23600 · What is funding and financing?
  • VATLP23700 · In what circumstances are persons 'connected'?
  • VATLP23800 · What is the meaning of 'occupation'
  • VATLP23900 · What is the meaning of 'eligible purposes'?
  1. Option to tax - anti-avoidance test: contents
  2. Option to tax - anti-avoidance test: in what circumstances are persons 'connected'?

VATLP23700 | Option to tax - anti-avoidance test: in what circumstances are persons 'connected'?

From HM Revenue & Customs · VAT Land and Property

We use section 1122 of the Corporation Tax Act 2010 to decide whether persons are connected. However, from 1 August 2009 companies are not connected as a result of being under the control of the Crown, a Minister of the Crown, a government department or Northern Ireland department.

This change was introduced to avoid connection arising out of Government ownership of banks. Further details and examples of the most common types of connection are listed in section 13 of Notice 742A Opting to tax land and buildings.

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