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Legislation
Corporation Tax Act 2010

Crossheading Type 2 arrangements

  • Section 763 Type 2 finance arrangement defined
  • Section 764 Relevant change in relation to partnership
  • Section 765 Certain tax consequences not to have effect
  • Section 766 Deemed loan relationship
  1. Type 2 arrangements
  2. Certain tax consequences not to have effect

Section 765 | Certain tax consequences not to have effect

From legislation.gov.uk

(1)This section applies if—

(a)there is a type 2 finance arrangement, and

(b)any relevant change in relation to the partnership would have the relevant effect (ignoring this section).

(2)In such a case—

(a)sections 1259 to 1265 of CTA 2009 (partnerships involving companies) are to have effect in relation to the transferor or the person connected with the transferor as if the relevant change in relation to the partnership had not occurred, and

(b)accordingly the finance arrangement is not to have the relevant effect.

(3)The relevant effect is that—

(a)an amount of income on which the transferor or the person connected with the transferor would otherwise have been charged to corporation tax is not so charged,

(b)an amount which would otherwise have been brought into account in calculating for corporation tax purposes any income of the transferor or the person connected with the transferor is not so brought into account, or

(c)the transferor or the person connected with the transferor becomes entitled to an income deduction.

(4)In deciding whether subsection (1)(b) is met assume that amounts of income equal to the payments mentioned in section 763(2)(e) were payable to the partnership before the relevant change in relation to it occurred.

(5)An income deduction is—

(a)a deduction in calculating income for corporation tax purposes, or

(b)a deduction from total profits.

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