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Legislation
Corporation Tax Act 2010

Crossheading Company's entitlement to profits or assets available for distribution: supplementary

  • Section 169 Application and interpretation of sections 170 to 182
  • Section 170 Shares or securities with limited rights
  • Section 171 Shares or securities with temporary rights
  • Section 172 Company A's proportion if shares etc have temporary rights
  • Section 173 Cases in which option arrangements are in place
  • Section 174 Company A's proportion if option arrangements in place
  • Section 174A Certain option arrangements not within section 173
  • Section 174B Certain mortgage arrangements not within section 173
  • Section 175 Cases in which both sections 170 and 172 apply
  • Section 176 Cases in which both sections 170 and 174 apply
  • Section 177 Cases in which both sections 172 and 174 apply
  • Section 178 Cases in which sections 170, 172 and 174 all apply
  • Section 179 Cases in which surrendering or claimant company is non-UK resident
  • Section 180 Company A's proportion if non-UK resident involved
  • Section 181 Assumptions to be applied if non-UK resident company involved
  • Section 182 Assets etc referable to UK trade
  1. Company's entitlement to profits or assets available for distribution: supplementary
  2. Assets etc referable to UK trade

Section 182 | Assets etc referable to UK trade

From legislation.gov.uk

Profits, assets or liabilities of company B are referable to company B's UK trade so far as they—

(a)are attributable to, or used for the purposes of, activities the income or chargeable gains from which are or (if there were any) would be brought into account in calculating company B's total profits of any accounting period, and

(b)are not attributable to, or used for the purposes of, activities which are double taxation exempt for any accounting period (see section 186).

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