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Legislation
Taxation (International and Other Provisions) Act 2010

Chapter 22 Supplementary provision

  • Section 371VA Definitions
  • Section 371VB Accounting periods
  • Section 371VC Accounting profits
  • Section 371VD Adjustments to accounting profits
  • Section 371VE Cell companies etc
  • Section 371VF Connected persons etc
  • Section 371VG Finance profits
  • Section 371VH Interests in companies
  • Section 371VI Property business profits
  • Section 371VIA Relevant finance leases
  • Section 371VJ Regulations
  1. Chapter 22 · Supplementary provision
  2. Finance profits

Section 371VG | Finance profits

From legislation.gov.uk

(1)In this Part “non-trading finance profits”, in relation to a CFC, means any amounts—

(a)which are included in the CFC's assumed total profits for the accounting period in question on the basis that they would be chargeable to corporation tax under—

(i)section 299 of CTA 2009 (charge to tax on non-trading profits from loan relationships), or

(ii)Part 9A of that Act (company distributions), or

(b)which are included in the CFC's assumed total profits for the accounting period in question and which—

(i)arise from a relevant finance lease, but

(ii)are not trading profits.

(2)Subsection (1) is subject to subsection (3) and sections 371CB(2) and (8), 371CE(2) and 371IA(9).

(3)Any credits or debits which are to be brought into account in determining the CFC's property business profits for the accounting period in question in accordance with section 371VI(2) are not to be brought into account in determining the CFC's non-trading finance profits.

(4)In this Part “trading finance profits”, in relation to a CFC, means any amounts included in the CFC's assumed total profits for the accounting period in question—

(a)which are trading profits by virtue of section 297, 573 or 931W of CTA 2009, or

(b)which are trading profits arising from ... a relevant finance lease.

(5)Subsection (4) is subject to section 371CE(2).

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