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Legislation
Corporation Tax Act 2010

Crossheading Exemption by virtue of section 1076 or 1077: conditions

  • Section 1081 General conditions
  • Section 1082 Conditions for distributions within section 1076(a)
  • Section 1083 Conditions for distributions within section 1077(1)
  • Section 1084 Cases where condition K does not apply
  • Section 1085 Conditions to be met if the distributing company is a 75% subsidiary
  1. Exemption by virtue of section 1076 or 1077: conditions
  2. Conditions for distributions within section 1076(a)

Section 1082 | Conditions for distributions within section 1076(a)

From legislation.gov.uk

(1)Condition E is that the shares mentioned in section 1076(a)—

(a)must not be redeemable,

(b)must constitute the whole or substantially the whole of the distributing company's holding of the ordinary share capital of the subsidiary, and

(c)must confer the whole or substantially the whole of the distributing company's voting rights in the subsidiary.

(2)Condition F is that the distributing company must after the distribution be either—

(a)a trading company, or

(b)the holding company of a trading group.

But see subsections (3) and (4).

(3)Condition F need not be met if the distributing company is a 75% subsidiary of another company.

(4)Condition F need not be met if—

(a)the transfer mentioned in section 1076(a) relates to two or more 75% subsidiaries of the distributing company, and

(b)the distributing company is dissolved without there having been after the distribution any net assets of the company available for distribution on a winding up or otherwise.

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