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Legislation
Corporation Tax Act 2010

CHAPTER 2D Asset transferred within group: Restriction of group relief for carried-forward losses

  • Section 676DA Introduction to Chapter
  • Section 676DB Notional split of accounting period in which change in ownership occurs
  • Section 676DC Disallowance of group relief for carried-forward losses
  • Section 676DD Meaning of “the relevant provisions”
  • Section 676DE Meaning of “amount of profits which represents a relevant gain”
  1. Chapter 2D
  2. Notional split of accounting period in which change in ownership occurs

Section 676DB | Notional split of accounting period in which change in ownership occurs

From legislation.gov.uk

(1)This section applies for the purposes of this Chapter.

(2)The accounting period in which the change in ownership occurs (“the actual accounting period”) is treated as two separate accounting periods (“notional accounting periods”), the first ending with the change and the second consisting of the remainder of the period.

(3)Section 702 (apportionment of amounts) applies for the purposes of this Chapter as it applies for the purposes of Chapter 4.

(4)The amounts for the actual accounting period in column 1 of the table in section 702(2) are apportioned to the two notional accounting periods in accordance with section 702.

(5)In this Chapter, and in sections 702 and 703 as they apply by virtue of subsection (3), “the actual accounting period” and “notional accounting periods” have the same meaning as in this section.

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