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Statutory Instruments

2010 No. 2929

Corporation Tax

The Tax Treatment of Financing Costs and Income (Available Amount) Regulations 2010

Made

8th December 2010

Laid before the House of Commons

9th December 2010

Coming into force

1st January 2011

The Commissioners for Her Majesty’s Revenue and Customs make the following regulations in exercise of the powers conferred by section 332(1)(g) of the Taxation (International and Other Provisions) Act 2010( 1 ).

Citation and commencement

1. —(1) These Regulations may be cited as the Tax Treatment of Financing Costs and Income (Available Amount) Regulations 2010 and come into force on 1st January 2011.

(2) These Regulations have effect in relation to periods of account of the worldwide group( 2 ) beginning on or after 1st January 2011.

Interpretation

2. For the purposes of these Regulations—

CTA 2009” means the Corporation Tax Act 2009 ( 3 );

alternative finance arrangements” has the meaning given in section 501(2) of CTA 2009 (introduction to chapter: definitions etc );

alternative finance return” has the meaning given in sections 511 to 513 of CTA 2009 (purchase and resale arrangements, diminishing shared ownership arrangements and other arrangements);

loan relationship” has the meaning given in section 302 of CTA 2009 (definitions of loan relationship, creditor relationship and debtor relationship);

manufactured interest” has the meaning given in section 539(5) of CTA 2009 (introduction to chapter: definitions etc);

relevant non-lending relationship” has the meaning given in sections 479( 4 ) (relevant non-lending relationships not involving discounts) and 480 (relevant non-lending relationships involving discounts) of CTA 2009.

Specified matters

3. The following matters are specified for the purposes of section 332(1) of the Taxation (International and Other Provisions) Act 2010 to the extent that they are not included in the available amount by virtue of any of paragraphs (a) to (f) of that subsection—

(a) interest payable in respect of a relevant non-lending relationship;

(b) alternative finance return under alternative finance arrangements;

(c) manufactured interest;

(d) a finance charge treated in accordance with section 551(4) of CTA 2009 (relief for borrower for finance charges in respect of the advance) as interest payable under a debt;

(e) a finance charge treated in accordance with any of the following provisions of the Corporation Tax Act 2010( 5 ) as interest payable under a transaction or a loan relationship—

(i) section 761(3) (deemed loan relationship if borrower is a company),

(ii) section 762(3) (deemed loan relationship if borrower is a partnership with a corporate member),

(iii) section 766(3) (deemed loan relationship), or

(iv) section 769(3) (deemed loan relationship).

Steve Lamey

Dave Hartnett

Two of the Commissioners for Her Majesty’s Revenue and Customs

8th December 2010

( 1 )

2010 c. 8 . See section 353 for the definition of “Commissioners”.

( 2 )

See section 337 of the Taxation (International and Other Provisions) Act 2010 for the definition of “the worldwide group”.

( 3 )

2009 c. 4 .

( 4 )

Section 479 was amended by section 42 of the Finance Act 2009 (c. 10) with effect from 22nd April 2009.

( 5 )

2010 c. 4 .

Status: This is the original version (as it was originally made). This item of legislation is currently only available in its original format.
The Tax Treatment of Financing Costs and Income (Available Amount) Regulations 2010 (2010/2929)
Version from: original only

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Status of this instrument

in force Provision is in force
in force* In force only for specified purposes (see footnote)
not in force Not in force in England (may be in force in other geographies, see footnotes)
defined term Defined term
dfn Defined term (alternative style)
footnote commentary transitional and savings in force status related provisions geo extent insert/omit source count in force adj
Defined Term Section/Article ID Scope of Application
alternative finance arrangements reg. 2. def_ebd90ba8eb
alternative finance return reg. 2. def_a57ee65c45
CTA 2009 reg. 2. def_c9672a985c
loan relationship reg. 2. def_fe8dbb514a
manufactured interest reg. 2. def_27e85d656a
relevant non-lending relationship reg. 2. def_f3ae5e26dc

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