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Contents

Legislation
Corporation Tax Act 2009

Chapter 2A Disguised interest

  • Section 486A Overview
  • Section 486B Disguised interest to be regarded as profit from loan relationship
  • Section 486C Exclusion where return otherwise taxable
  • Section 486D Exclusion where arrangement has no tax avoidance purpose
  • Section 486E Excluded shares
  1. Chapter 2A
  2. Exclusion where return otherwise taxable

Section 486C | Exclusion where return otherwise taxable

From legislation.gov.uk

(1)This Chapter does not apply to an arrangement which produces a return for a company if or to the extent that the return—

(a)is charged to corporation tax as income of the company or brought into account as income of the company for corporation tax purposes no later than the time when amounts are brought into account in relation to the return in accordance with section 486B,

(b)arises from anything that would produce credits or debits in relation to the company under Part 7 (derivative contracts) or Part 8 (intangible fixed assets) but for any exception relating to particular credits or debits, or

(c)arises from anything that would produce credits or debits in relation to the company under Part 5 apart from this Chapter but for any exception relating to particular credits or debits.

(2)Subsection (1)(b) does not disapply this Chapter in the case of a return in relation to which section 641 (derivative contracts taxed on chargeable gains basis) applies.

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