Skip to content
Solved
SearchBrowse
Sign in

Contents

Legislation
Finance Act 2007

Crossheading Anti-avoidance

  • Section 25 Managed service companies
  • Section 26 Restrictions on trade loss relief for partners
  • Section 27 Extension of restrictions on allowable capital losses
  • Section 28 Restriction on expenses of management
  • Section 29 Life policies etc: effect of rebated or reinvested commission
  • Section 30 Avoidance involving financial arrangements
  • Section 31 Companies carrying on business of leasing plant or machinery
  • Section 32 Restrictions on companies buying losses or gains: tax avoidance schemes
  • Section 33 Lloyd's corporate members: restriction of group relief
  • Section 34 Employee benefit contributions
  • Section 35 Schemes etc designed to increase double taxation relief
  1. Anti-avoidance
  2. Extension of restrictions on allowable capital losses

Section 27 | Extension of restrictions on allowable capital losses

From legislation.gov.uk

(1)TCGA 1992 is amended as follows.

(2)In section 8 (company's total profits to include chargeable gains)—

(a)in subsection (2), for the words from “does not include—” to the end substitute “ does not include a loss accruing to a company in such circumstances that if a gain accrued the company would be exempt from corporation tax in respect of it. ”, and

(b)omit subsections (2A) to (2C).

(3)After section 16 insert—

16ARestrictions on allowable losses

(1)For the purposes of this Act, “allowable loss” does not include a loss accruing to a person if—

(a)it accrues to the person directly or indirectly in consequence of, or otherwise in connection with, any arrangements, and

(b)the main purpose, or one of the main purposes, of the arrangements is to secure a tax advantage.

(2)For the purposes of subsection (1)—

“arrangements” includes any agreement, understanding, scheme, transaction or series of transactions (whether or not legally enforceable), and

“tax advantage” means—and for the purposes of this definition “tax” means capital gains tax, corporation tax or income tax.

(a)relief or increased relief from tax,

(b)repayment or increased repayment of tax,

(c)the avoidance or reduction of a charge to tax or an assessment to tax, or

(d)the avoidance of a possible assessment to tax,

(3)For the purposes of subsection (1) it does not matter—

(a)whether the loss accrues at a time when there are no chargeable gains from which it could otherwise have been deducted, or

(b)whether the tax advantage is secured for the person to whom the loss accrues or for any other person.

(4)In section 288(1) (interpretation), in the definition of “allowable loss”, after “16” insert “ , 16A ”.

(5)Repealed

(6)The amendments made by this section have effect in relation to losses accruing on disposals made on or after 6th December 2006.

PreviousNext
PrivacyTerms