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Legislation
Income Tax Act 2007

Crossheading Acquisition of issuing company

  • Section 257HB Continuity of SEIS relief where issuing company is acquired by new company
  • Section 257HC Carry over of obligations etc where SEIS relief attributed to new shares
  • Section 257HD Substitution of new shares for old shares
  1. Acquisition of issuing company
  2. Carry over of obligations etc where SEIS relief attributed to new shares

Section 257HC | Carry over of obligations etc where SEIS relief attributed to new shares

From legislation.gov.uk

(1)This section applies if, under section 257HB, any SEIS relief which is attributable to any old shares becomes attributable instead to any new shares.

(2)This Part has effect as if anything which under—

(a)section 257EB(1) (entitlement to claim),

(b)section 257FR(3) (relief subsequently found not to be due), or

(c)sections 257GF to 257GH (information to be provided),

has been done, or is required to be done, by or in relation to the old company had been done, or were required to be done, by or in relation to the new company.

(3)Any appeal brought by the old company against a notice under section 257FR(3)(b) may be prosecuted by the new company as if it had been brought by that company.

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