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Contents

Legislation
Income Tax Act 2007

Crossheading Other rules

  • Section 564V Exclusion of alternative finance return from consideration for sale of assets
  • Section 564W Diminishing shared ownership arrangements not partnerships
  • Section 564WA Diminishing shared ownership arrangements: further provision in respect of refinancing
  • Section 564X Treatment of principal under profit share agency arrangements
  • Section 564Y Provision not at arm's length: relevant return
  1. Other rules
  2. Exclusion of alternative finance return from consideration for sale of assets

Section 564V | Exclusion of alternative finance return from consideration for sale of assets

From legislation.gov.uk

(1)If under purchase and resale arrangements an asset is sold by one party to the arrangements to the other party, the alternative finance return is excluded in determining the consideration for the sale and purchase of the asset for the purposes of the Income Tax Acts (apart from section 564C).

(2)If under diminishing shared ownership arrangements an asset is sold by one party to the arrangements to the other party, the alternative finance return is excluded in determining the consideration for the sale and purchase of the asset for the purposes of the Income Tax Acts (apart from section 564D or 564DA).

(3)If under investment bond arrangements an asset is sold by one party to the arrangements to the other party, the alternative finance return is excluded in determining the consideration for the sale and purchase of the asset for the purposes of the Income Tax Acts (apart from section 564G).

(4)Subsections (1) to (3) do not affect the operation of any provision of the Tax Acts or TCGA 1992 that provides that the consideration for a sale or purchase is taken for any purpose to be an amount other than the actual consideration.

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