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Legislation
Taxation (International and Other Provisions) Act 2010

Crossheading “The corporation tax assumptions”

  • Section 371SC What are “the corporation tax assumptions”?
  • Section 371SD UK residence etc
  • Section 371SE Close company
  • Section 371SF Claims and elections
  • Section 371SG Disapplication of assumption in section 371SF(1)
  • Section 371SH Elections under section 9A of CTA 2010
  • Section 371SI Modification of sections 6 and 7 of CTA 2010
  • Section 371SJ Elections for leases to be treated as long funding leases
  • Section 371SK Intangible fixed assets
  • Section 371SKA Restrictions on certain deductions: deductions allowances
  • Section 371SL Group relief etc
  • Section 371SLA Corporate interest restriction
  • Section 371SM Capital allowances
  • Section 371SN Unremittable overseas income
  • Section 371SO Tax advantages
  • Section 371SP Disguised interest: application of Chapter 2A of Part 6 of CTA 2009
  • Section 371SQ Shares accounted for as liabilities: application of section 521C of CTA 2009
  • Section 371SR Double taxation relief: countering effect of avoidance arrangements
  1. “The corporation tax assumptions”
  2. Group relief etc

Section 371SL | Group relief etc

From legislation.gov.uk

(1)Assume that the CFC is neither a member of a group of companies nor a member of a consortium for the purposes of any provision of the Tax Acts.

(2)Subsection (3) applies if—

(a)under Part 5 of CTA 2010 (group relief) or Part 5A of that Act (group relief for carried-forward losses) the CFC actually surrenders any relief which is allowed to another company by way of group relief or group relief for carried-forward losses, but

(b)applying the corporation tax assumptions apart from subsection (3), the relief would reduce the CFC's assumed taxable total profits for the relevant accounting period.

(3)Assume that the relief is to be ignored in determining the CFC's assumed taxable total profits for the relevant accounting period.

(4)This section is subject to section 371SLA (corporate interest restriction).

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