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Legislation
Taxation (International and Other Provisions) Act 2010

Crossheading Meaning of certain expressions that first appear in section 147

  • Section 149 “Actual provision” and “affected persons”
  • Section 150 “Transaction” and “series of transactions”
  • Section 151 “Arm's length provision”
  • Section 152 Arm's length provision where actual provision relates to securities
  • Section 153 Arm's length provision where security issued and guarantee given
  • Section 153A Certain guarantees not capable of being arm’s length
  • Section 153B Election for deemed guarantee
  • Section 154 Interpretation of sections 153A and 153B
  • Section 155 “Potential advantage” in relation to United Kingdom taxation
  • Section 156 “Losses” and “profits”
  1. Meaning of certain expressions that first appear in section 147
  2. “Potential advantage” in relation to United Kingdom taxation

Section 155 | “Potential advantage” in relation to United Kingdom taxation

From legislation.gov.uk

(1)Subsection (2) applies for the purposes of this Part.

(2)The actual provision confers a potential advantage on a person in relation to United Kingdom taxation wherever, disregarding this Part, the effect of making or imposing the actual provision, instead of the arm's length provision, would be one or both of Effects A and B.

(3)Effect A is that a smaller amount (which may be nil) would be taken for tax purposes to be the amount of the person's profits for any chargeable period.

(4)Effect B is that a larger amount (or, if there would not otherwise have been losses, any amount of more than nil) would be taken for tax purposes to be the amount for any chargeable period of any losses of the person.

(5)In determining for the purposes of subsection (3) or (4) the amount that would be taken for tax purposes to be the amount of the profits or losses for a year of assessment in the case of a non-UK resident, there is to be left out of account any income of that person which is—

(a)disregarded income within the meaning given by section 813 of ITA 2007 (limits on liability to income tax of non-UK residents), or

(b)disregarded company income within the meaning given by section 816 of that Act.

(6)For the purposes of subsections (2) to (4)—

(a)Part 10 (corporate interest restriction),

(b)paragraph E of the list in section 1000(1) of CTA 2010 (excessive interest etc treated as a distribution),

are to be disregarded.

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