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Legislation
Taxation of Chargeable Gains Act 1992

Crossheading Repurchase price under repos

  • Section 261F Deemed manufactured payments: effect on repurchase price
  • Section 261G Price differences under repos: effect on repurchase price
  • Section 261H Power to modify section 261G in non-arm's length case
  1. Repurchase price under repos
  2. Power to modify section 261G in non-arm's length case

Section 261H | Power to modify section 261G in non-arm's length case F1

From legislation.gov.uk

(1)The Treasury may by regulations provide for section 261G to apply with modifications if the exception in section 608(2) of ITA 2007 (agreement not at arm's length) would otherwise prevent it from applying.

(2)Regulations under this section may make different provision for different cases.

(3)Regulations under this section may contain incidental, supplemental, consequential and transitional provision and savings.

(4)The incidental, supplemental, and consequential provision may include modifications of section 261F (deemed manufactured payments: effect on repurchase price).

(5)In this section “modifications” includes exceptions and omissions.

(6)Accordingly, the power in subsection (1) includes power to provide for any provision of section 261G not to apply in relation to the case mentioned in that subsection.

Notes

  1. F1

    S. 261H inserted (6.4.2007) by Income Tax Act 2007 (c. 3), s. 1034(1), Sch. 1 para. 332 (with Sch. 2)

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