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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 and 188DE: meaning of “the overlapping period”

Section 188DG | Sections 188DC and 188DE: meaning of “the overlapping period”

From legislation.gov.uk

(1)In sections 188DC and 188DE “the overlapping period”, in relation to a claim for group relief for carried-forward losses, means the period that is common to the claim period and the surrender period (see Requirement 2 in section 188CB(3) and Requirement 2 in section 188CC(3)).

(2)But if during any part of the overlapping period the relief condition is not met, that part is treated as not forming part of the overlapping period but instead as forming—

(a)a part of the surrender period that is not included in the overlapping period, and

(b)a part of the claim period that is not included in the overlapping period.

(3)The relief condition is the condition on which the claim for group relief for carried forward losses is based, that is—

the group condition,

consortium condition 1,

consortium condition 2,

consortium condition 3, or

consortium condition 4.

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