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Legislation
Corporation Tax Act 2010

CHAPTER 2A Post-1 April 2017 losses: Further cases involving a change in the company's activities

  • Section 676AA Introduction to Chapter
  • Section 676AB Priority of provisions of Chapters 2 and 3 over this Chapter
  • Section 676AC “Major change in the business” of a company
  • Section 676AD Notional split of accounting period in which change in ownership occurs
  • Section 676AE “Affected profits”
  • Section 676AF Restriction on use of carried-forward post-1 April 2017 trade losses
  • Section 676AG Restriction on debits to be brought into account
  • Section 676AH Restriction on the carry forward of post-1 April 2017 non-trading deficit from loan relationships
  • Section 676AI Restriction on relief for post-1 April 2017 non-trading loss on intangible fixed assets
  • Section 676AJ Restriction on deduction of post-1 April 2017 expenses of management
  • Section 676AK Restriction on use of post-1 April 2017 UK property business losses
  • Section 676AL “Co-transferred company” and “related company”
  1. Chapter 2A
  2. “Co-transferred company” and “related company”

Section 676AL | “Co-transferred company” and “related company”

From legislation.gov.uk

(1)In this Chapter “co-transferred company” means any company which is related to the transferred company both immediately before and immediately after the change in ownership.

(2)For the purposes of this Chapter any two companies (“T”) and (“C”) are “related” to one another at any time when—

(a)the group condition is met in relation to T and C, or

(b)any of consortium conditions 1 to 4 is met in relation to T and C,

(whether on the assumption that T is the claimant company and C is the surrendering company or vice versa).

(3)In this Chapter—

“consortium condition 1” is to be interpreted in accordance with section 188CF,

“consortium condition 2” is to be interpreted in accordance with section 188CG,

“consortium condition 3” is to be interpreted in accordance with section 188CH,

“consortium condition 4” is to be interpreted in accordance with section 188CI,

“the group condition” is to be interpreted in accordance with section 188CE.

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