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Legislation
Taxation of Chargeable Gains Act 1992

Crossheading Meaning of “alternative finance return”

  • Section 151P Purchase and resale arrangements
  • Section 151Q Purchase and resale arrangements where return in foreign currency
  • Section 151R Diminishing shared ownership arrangements
  • Section 151S Other arrangements
  1. Meaning of “alternative finance return”
  2. Purchase and resale arrangements where return in foreign currency

Section 151Q | Purchase and resale arrangements where return in foreign currency F1

From legislation.gov.uk

(1)If, in the case of purchase and resale arrangements, alternative finance return is paid in a currency other than sterling—F1

(a)by or to a person other than a company, andF1

(b)otherwise than for the purposes of a trade, profession or vocation or a property business,F1

subsections (2) and (3) apply as respects that person.

(2)The amount of the excess referred to in section 151P(2) and (5)(b) and the appropriate amount for the purposes of section 151P(3) and (4) are to be calculated in that other currency.F1

(3)The amount of each payment of alternative finance return is to be translated into sterling at a spot rate of exchange for the day on which the payment is made.F1

Notes

  1. F1

    S. 151Q inserted (with effect in accordance with s. 381(1) of the amending Act) by Taxation (International and Other Provisions) Act 2010 (c. 8), s. 381(1), Sch. 2 para. 37 (with Sch. 9 paras. 1-9, 22)

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