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Legislation
Corporation Tax Act 2010

Crossheading R&D fraction

  • Section 357BL Introduction
  • Section 357BLA The R&D fraction
  • Section 357BLB Qualifying expenditure on relevant R&D undertaken in-house
  • Section 357BLC Qualifying expenditure on relevant R&D sub-contracted to unconnected persons
  • Section 357BLD Qualifying expenditure on relevant R&D sub-contracted to connected persons
  • Section 357BLE Qualifying expenditure on acquisition of relevant qualifying IP rights
  • Section 357BLEA Cases where the company is a party to a CSA
  • Section 357BLF Meaning of the “relevant period” etc
  • Section 357BLG Cases where the company is a new entrant with insufficient information about pre-enactment expenditure
  • Section 357BLH R&D fraction: increase for exceptional circumstances
  1. R&D fraction
  2. Introduction

Section 357BL | Introduction

From legislation.gov.uk

(1)Sections 357BLA to 357BLH apply for the purpose of determining the R&D fraction for a relevant IP income sub-stream established at Step 2 in section 357BF(2) in determining the relevant IP profits of a trade of a company for an accounting period.

(2)In sections 357BLA to 357BLH, references to “the sub-stream”, “the trade”, “the company” and “the accounting period” are to the relevant IP income sub-stream, the trade, the company and the accounting period referred to in subsection (1).

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