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Legislation
Corporation Tax Act 2009

Crossheading Transfers treated as being at market value

  • Section 845 Transfer between company and related party treated as at market value
  • Section 846 Transfers where provision subject to transfer pricing but section 147(3) or (5) does not apply
  • Section 847 Transfers involving other taxes
  • Section 848 Tax-neutral transfers
  • Section 848A Assets held for purposes of exempt foreign permanent establishments
  • Section 849 Transfers involving gifts of business assets
  • Section 849A Disincorporation relief: transfer values for post-FA 2002 goodwill
  1. Transfers treated as being at market value
  2. Transfers involving other taxes

Section 847 | Transfers involving other taxes

From legislation.gov.uk

(1)This section applies if—

(a)in a case where section 845(1) applies and the asset is transferred from the company to a related party, the transfer is at less than its market value,

(b)in a case where that section applies and the asset is transferred to the company from the related party, the transfer is at more than its market value, and

(c)conditions A and B apply.

(2)Condition A is that the related party—

(a)is not a company, or

(b)is a company in relation to which the asset is not a chargeable intangible asset immediately after the transfer to it or, as the case may be, immediately before the transfer from it.

(3)Condition B is that the transfer—

(a)gives rise to an amount to be taken into account in calculating any person's income, profits or losses for tax purposes because of a relevant provision, or

(b)would do so apart from section 845(1).

(4)If this section applies, section 845(1) does not apply in relation to the calculation referred to in subsection (3) for the purposes of any relevant provision.

(5)In this section “relevant provision” means—

(a)Chapter 2 of Part 23 of CTA 2010 (matters which are distributions), except section 1000(2), and

(b)Part 3 of ITEPA 2003 (employment income: earnings and benefits etc treated as earnings).

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