Skip to content
Solved
SearchBrowse
Sign in

Contents

Legislation
Taxation (International and Other Provisions) Act 2010

Crossheading Allocation of deductions etc to profits for purposes of section 42

  • Section 52 General deductions
  • Section 53 Earlier years' non-trading deficits on loan relationships
  • Section 54 Non-trading debits on loan relationships
  • Section 55 Current year's non-trading deficits on loan relationships
  • Section 56 Non-trading debits on intangible fixed assets
  1. Allocation of deductions etc to profits for purposes of section 42
  2. Current year's non-trading deficits on loan relationships

Section 55 | Current year's non-trading deficits on loan relationships

From legislation.gov.uk

(1)Subsection (5) applies for the purposes of section 42 if conditions A and B are met.

(2)Condition A is that the company—

(a)has no non-trading credits for the period, or

(b)has non-trading credits for the period but none of those credits is eligible for double taxation relief.

(3)For the purposes of subsection (2)(b), a non-trading credit relating to an item is “eligible for double taxation relief” if there is in respect of that item an amount of foreign tax for which, under the arrangements, credit is allowable against United Kingdom tax calculated by reference to that item.

(4)Condition B is that an amount (“the deficit”) is set against any of the company's profits for the period—

(a)under section 388(1) of CTA 2009 (insurance company's non-trading deficit on loan relationships set against current year's profits), or

(b)under section 459(1)(a) or 463B(1)(a) of CTA 2009 (other company's non-trading deficit on loan relationships set against current year's profits).

(5)The deficit can be allocated only to profits against which the deficit is set under section 388(1) , 459(1)(a) or 463B(1)(a) of CTA 2009.

(6)In this section “non-trading credit” means a non-trading credit for the purposes of Part 5 of CTA 2009 (loan relationships).

PreviousNext
PrivacyTerms