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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. Meaning of “amount of profits which represents a relevant gain”

Section 676DE | Meaning of “amount of profits which represents a relevant gain”

From legislation.gov.uk

(1)In this Chapter, the amount of any profits which represents a relevant gain is found by comparing—

(a)the amount (“Y”) of the relevant gain, with

(b)the amount (“Z”) which is included in respect of chargeable gains or, as the case may be, non-trading chargeable realisation gains for the accounting period concerned.

(2)If Y does not exceed Z, the amount of the profits which represents the relevant gain equals Y.

(3)If Y exceeds Z, the amount of those profits equals Z.

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