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Legislation
Income Tax Act 2007

Crossheading Person liable to counteraction of income tax advantages

  • Section 684 Person liable to counteraction of income tax advantage
  • Section 685 Receipt of consideration in connection with distribution by or assets of close company
  • Section 686 Excluded circumstances: fundamental change of ownership
  • Section 687 Income tax advantage
  • Section 688 Receipt of consideration representing company's assets, future receipts or trading stock (circumstance C)
  • Section 689 Receipt of consideration in connection with relevant company distribution (circumstance D)
  • Section 690 Receipt of assets of relevant company (circumstance E)
  • Section 691 Meaning of “relevant company” in sections 689 and 690
  • Section 692 Abnormal dividends: general
  • Section 693 Abnormal dividends: the excessive return condition
  • Section 694 Abnormal dividends: the excessive accrual condition
  1. Person liable to counteraction of income tax advantages
  2. Receipt of consideration in connection with relevant company distribution (circumstance D)

Section 689 | Receipt of consideration in connection with relevant company distribution (circumstance D)

From legislation.gov.uk

Provision repealed

The source marks this provision as repealed and does not provide content for this version.

Repealed

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