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Legislation
Income and Corporation Taxes Act 1970 (repealed 6.4.1992)

Crossheading Transfers concerning companies of different member States

  • Section 269A Transfer of a UK trade.
  • Section 269B Section 269A: anti-avoidance.
  • Section 269C Transfer of a non-UK trade.
  • Section 269D Section 269C: anti-avoidance.
  1. Transfers concerning companies of different member States
  2. Section 269C: anti-avoidance.

Section 269D | Section 269C: anti-avoidance. F1

From legislation.gov.uk

(1)Section 269C above shall not apply unless the transfer of the trade or part is effected for bona fide commercial reasons and does not form part of a scheme or arrangements of which the main purpose, or one of the main purposes, is avoidance of liability to income tax, corporation tax or capital gains tax.

(2)Subsection (1) above shall not apply where, before the transfer, the Board have on the application of company A notified that company that the Board are satisfied that the transfer will be effected for bona fide commercial reasons and will not form part of any such scheme or arrangements as are mentioned in that subsection.

(3)Subsections (2) to (5) of section 88 of the Capital Gains Tax Act 1979 shall have effect in relation to subsection (2) above as they have effect in relation to subsection (1) of that section.

Notes

  1. F1

    Ss. 269C, 269D inserted(retrosp.) in relation to transfers taking effect on or after 1.1.1992 by Finance (No. 2) Act 1992 (c. 48), s.48.

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