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Legislation
Corporation Tax Act 2009

Crossheading Transactions not at arm's length: exchange gains and losses

  • Section 447 Exchange gains and losses on debtor relationships: loans disregarded under Part 4 of TIOPA 2010
  • Section 448 Exchange gains and losses on debtor relationships: equity notes where holder associated with issuer
  • Section 449 Exchange gains and losses on creditor relationships: no corresponding debtor relationship
  • Section 450 Meaning of “corresponding debtor relationship”
  • Section 451 Exception to section 449 where loan exceeds arm's length amount
  • Section 452 Exchange gains and losses where loan not on arm's length terms
  1. Transactions not at arm's length: exchange gains and losses
  2. Meaning of “corresponding debtor relationship”

Section 450 | Meaning of “corresponding debtor relationship”

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Provision repealed

The source marks this provision as repealed and does not provide content for this version.

Repealed

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