Skip to content
Solved
SearchBrowse
Sign in

Contents

Legislation
Corporation Tax Act 2009

Crossheading Connections between persons

  • Section 466 Companies connected for an accounting period
  • Section 467 Connections where partnerships are involved
  • Section 468 Connection between companies to be ignored in some circumstances
  • Section 469 Creditors who are financial traders
  • Section 470 Section 469: supplementary provisions
  • Section 471 Creditors who are insurance companies carrying on BLAGAB
  • Section 472 Meaning of “control”
  • Section 473 Meaning of “major interest”
  • Section 474 Treatment of connected companies and partnerships for section 473
  • Section 475 Meaning of expressions relating to exchange gains and losses
  1. Connections between persons
  2. Companies connected for an accounting period

Section 466 | Companies connected for an accounting period

From legislation.gov.uk

(1)This section and sections 467 to 471 have effect for the purposes of any provisions of this Part which apply this section (but this does not affect the application of section 1316(1) (meaning of “connected” persons) for other purposes of this Part).

(2)There is a connection between a company (“A”) and another company (“B”) for an accounting period if there is a time in the period when—

(a)A controls B,

(b)B controls A, or

(c)A and B are both controlled by the same person.

(3)But A and B are not taken to be controlled by the same person just because they have been under the control of—

(a)the Crown,

(b)a Minister of the Crown,

(c)a government department,

(d)a Northern Ireland department,

(e)a foreign sovereign power, or

(f)an international organisation.

(4)Subsection (2) is subject to section 468 (connection between companies to be ignored in some circumstances).

(5)For a case where companies are treated as if one controlled the other, see section 383(5) (inter-partnership lending between connected company partners etc).

(6)Section 472 (meaning of “control”) applies for the purposes of this section.

PreviousNext
PrivacyTerms