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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. Abnormal dividends: the excessive return condition

Section 693 | Abnormal dividends: the excessive return condition

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Provision repealed

The source marks this provision as repealed and does not provide content for this version.

Repealed

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