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Legislation
Corporation Tax Act 2010

Part 21B Group mismatch schemes

  • Section 938A Losses and profits from group mismatch schemes to be disregarded
  • Section 938B Meaning of “a group mismatch scheme” and “the scheme group”
  • Section 938C Meaning of “scheme loss” and “scheme profit”
  • Section 938D Meaning of “relevant tax advantage” etc and “the scheme period”
  • Section 938E Meaning of “group”
  • Section 938F Meaning of references to economic profits and losses
  • Section 938G Tax capacity assumption
  • Section 938H Meaning of “scheme”
  • Section 938I Schemes involving repos or quasi-repos
  • Section 938J Schemes involving finance arrangements
  • Section 938K Trading income
  • Section 938L Foreign companies and foreign permanent establishments
  • Section 938M Controlled foreign companies
  • Section 938N Priority
  1. Part 21B
  2. Meaning of “a group mismatch scheme” and “the scheme group”

Section 938B | Meaning of “a group mismatch scheme” and “the scheme group”

From legislation.gov.uk

(1)A scheme is “a group mismatch scheme” if—

(a)the parties to the scheme are, or include, members of the same group, and

(b)condition A or B is met.

(2)Condition A is that, at the time the scheme is entered into, there is no practical likelihood that the scheme will fail to secure a relevant tax advantage of £2 million or more.

(3)The Treasury may by order substitute a higher amount for the amount for the time being specified in subsection (2).

(4)Any such substitution is to have effect in relation to schemes entered into on or after the day on which the order comes into force.

(5)Condition B is that—

(a)the purpose, or one of the main purposes, of any member of the scheme group in entering into the scheme is to obtain the chance of securing a relevant tax advantage (of any amount), and

(b)at the time the scheme is entered into—

(i)there is no chance that the scheme will secure a relevant tax disadvantage, or

(ii)there is such a chance, but the expected value of the scheme is nevertheless a positive amount.

(6)If, at the time the company enters into the scheme, there are chances that the scheme would, if carried out, secure different relevant tax advantages or disadvantages in different circumstances, the amounts and probabilities of each must be taken into account in determining the expected value of the scheme.

(7)In determining whether condition A or B is met, it is to be assumed that the parties to the scheme carry it out.

(8)Where, at the time the scheme is entered into, the length of the scheme period is uncertain, condition A or B is met if it would be met on any reasonable assumption as to the length of the scheme period.

(9)In determining whether condition A or B is met, section 938A (scheme profits and losses to be left out of account) is to be disregarded.

(10)In this Part “ the scheme group ” means the group mentioned in subsection (1)(a).

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