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Legislation
Corporation Tax Act 2009

Crossheading Deemed debt releases on impaired debts becoming held by connected company

  • Section 361 Acquisition of creditor rights by connected company at undervalue
  • Section 361A The corporate rescue exception
  • Section 361B The debt-for-debt exception
  • Section 361C The equity-for-debt exception
  • Section 361D Corporate rescue: debt released shortly after acquisition
  • Section 362 Parties becoming connected where creditor's rights subject to impairment adjustment etc
  • Section 362A Corporate rescue: debt released shortly after connection arises
  • Section 363 Companies connected for sections 361 to 362A
  • Section 363A Arrangements for avoiding section 361 or 362
  1. Deemed debt releases on impaired debts becoming held by connected company
  2. Arrangements for avoiding section 361 or 362

Section 363A | Arrangements for avoiding section 361 or 362

From legislation.gov.uk

(1)This section applies in any case where arrangements are entered into and the main purpose, or one of the main purposes, of any party in entering into them (or any part of them) is—

(a)to avoid an amount being treated as released under section 361 or 362, or

(b)to reduce the amount which is treated as released under section 361 or 362.

(2)The arrangements (or part of the arrangements) are not to achieve that effect (so that an amount, or a greater amount, falls to be treated as released under section 361 or 362).

(3)In this section “arrangements” includes any agreement, understanding, scheme, transaction or series of transactions (whether or not legally enforceable).

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