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Legislation
Corporation Tax Act 2010

Crossheading General limitation on amount of relief

  • Section 188DB Limitation on amount of relief applying to all claims under section 188CB
  • Section 188DC Unused part of the surrenderable amounts
  • Section 188DD Claimant company's relevant maximum for overlapping period
  • Section 188DE Previously claimed group relief for carried-forward losses
  • Section 188DF Sections 188DC to 188DE: supplementary
  • Section 188DG Sections 188DC and 188DE: meaning of “the overlapping period”
  1. General limitation on amount of relief
  2. Sections 188DC to 188DE: supplementary

Section 188DF | Sections 188DC to 188DE: supplementary

From legislation.gov.uk

(1)If two or more claims for group relief for carried-forward losses are made at the same time, for the purpose of section 188DC and 188DE treat the claims as made—

(a)in such order as the company making them may elect or the companies making them may jointly elect, or

(b)if no such election is made, in such order as an officer of Revenue and Customs may direct.

(2)For the purpose of step 3 in each of section 188DC(5) and 188DE(3) the amount of group relief for carried-forward losses given on a prior claim is determined on the basis that relief is given on the claim before it is given on any later claim.

(3)If the use of any proportion mentioned in subsection (4), would, in the circumstances of a particular case, produce a result that is unjust or unreasonable, the proportion is to be modified so far as necessary to produce a result that is just and reasonable.

(4)The proportions are those found in—

(a)section 188DC(2),

(b)section 188DC(6),

(c)step 3 in section 188DD(1), and

(d)section 188DE(4)

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