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Legislation
Finance (No. 2) Act 2023

Crossheading Adjustments of underlying profits

  • Section 138 Profits adjusted to be before tax
  • Section 139 Profits adjusted to be profits before consolidation adjustments to eliminate intragroup transactions
  • Section 140 Profits adjusted to be profits before certain purchase accounting adjustments
  • Section 141 General exclusion of dividends
  • Section 142 Excluded equity gain or loss
  • Section 143 Included revaluation method gain or loss
  • Section 144 Adjustments for asymmetric foreign currency income and losses
  • Section 145 Exclusion of expenses for illegal payments, fines and penalties
  • Section 146 Adjustment for changes in accounting policies and prior period errors
  • Section 147 Accrued pension expense
  • Section 147A Treatment of tax credits
  • Section 148 Meaning of qualifying refundable tax credits
  • Section 148A Transferable tax credits
  • Section 148B Value of marketable transferable tax credits: originator
  • Section 148C Value of marketable transferable tax credits: purchaser
  • Section 149 Arm’s length requirement for certain transactions
  • Section 150 Transactions between members of a multinational group: differences with accounting for tax
  • Section 150A Instruments held intragroup: issuer’s accounting treatment to prevail
  • Section 151 Adjustments for companies in distress
  • Section 152 Adjustments where life assurance business carried on
  • Section 153 Exclusion of certain insurance reserve movement expense
  • Section 154 Exclusion of qualifying intra-group financing arrangement expenses
  • Section 155 Qualifying tier one capital
  • Section 156 Exclusion of international shipping profits
  • Section 157 Core international shipping profits
  • Section 158 Ancillary international shipping profits
  1. Adjustments of underlying profits
  2. Arm’s length requirement for certain transactions

Section 149 | Arm’s length requirement for certain transactions

From legislation.gov.uk

(1)Subsection (6) applies to a member of a multinational group if any of Conditions A to D are met.

(2)Condition A is that—

(a)a debit is recorded in the underlying profits accounts of the member that arises from a transaction (“the relevant transaction”) comprising a transfer of an asset between the member and another member of that group,

(b)both members are located in the same territory, and

(c)the relevant transaction is not recorded on an arm’s length basis.

(3)Condition B is that—

(a)the member is party to a transaction (“the relevant transaction”) with another member of that group,

(b)both members are located in the same territory,

(c)one of the members is a minority owned member and the other is not, and

(d)the relevant transaction is not recorded in the member’s underlying profits accounts on an arm’s length basis.

(4)Condition C is that—

(a)the member is party to a transaction (“the relevant transaction”) with another member of that group,

(b)both members are located in the same territory,

(c)one of the members is an investment entity and the other is not, and

(d)the relevant transaction is not recorded in the member’s underlying profits accounts on an arm’s length basis.

(5)Condition D is that—

(a)the member is party to a transaction (“the relevant transaction”) with another member of that group,

(b)both members are located in the same territory, and

(c)the recorded value of the relevant transaction is not the same in each member’s underlying profits accounts.

(6)Where this subsection applies to a member of a multinational group, the underlying profits of both that member and the other member are to be adjusted to secure that the relevant transaction is reflected on an arm’s length basis.F1

(7)In this Part “arm’s length basis”, in relation to a transaction between members of the same multinational group, means reflecting the conditions of the transaction as would have been obtained had the transaction been conducted between independent enterprises in a comparable transaction under comparable circumstances.

Notes

  1. F1

    Words in s. 149(6) substituted (22.2.2024 with effect for accounting periods beginning on or after 31.12.2023 in accordance with Sch. 12 para. 1(2) of the amending Act) by Finance Act 2024 (c. 3), Sch. 12 para. 50(4)

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