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Legislation
Taxation (International and Other Provisions) Act 2010

Crossheading Transparent entities involved in cross-border transfers and mergers

  • Section 120 Introduction to section 121
  • Section 121 Tax treated as chargeable in respect of relevant transactions
  1. Transparent entities involved in cross-border transfers and mergers
  2. Tax treated as chargeable in respect of relevant transactions

Section 121 | Tax treated as chargeable in respect of relevant transactions

From legislation.gov.uk

(1)This Part applies, and any double taxation arrangements apply, as if the tax that would have been chargeable as mentioned in section 120(1) had been chargeable.

(2)In calculating tax notionally chargeable under subsection (1), it is to be assumed—

(a)that, to the extent permitted by the law of the ... member State mentioned in section 120(1), losses arising on the relevant transfer are set against profits arising on it, and

(b)that any relief available under that law is claimed.

(3)In this section “the relevant transfer” means—

(a)the transfer of assets or liabilities mentioned in section 120(5)(a) or (b),

(b)the transfer of rights and liabilities mentioned in section 120(5)(c) or (d), or

(c)the transfer of intangible fixed assets mentioned in section 120(5)(e) or (f).

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