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Statutory Instruments

2012 No. 701

Corporation Tax

Income Tax

Stamp Duty Land Tax

The London Legacy Development Corporation (Tax Consequences) Regulations 2012

Made

6th March 2012

Laid before the House of Commons

7th March 2012

Coming into force

31st March 2012

The Treasury, in exercise of the powers conferred by Part 3 of Schedule 24 to the Localism Act 2011( 1 ), make the following Regulations.

Citation and commencement

1. These Regulations may be cited as the London Legacy Development Corporation (Tax Consequences) Regulations 2012 and come into force on 31st March 2012.

Interpretation

2. In these Regulationsβ€”

β€œCTA 2009” means the Corporation Tax Act 2009( 2 );

β€œCTA 2010” means the Corporation Tax Act 2010( 3 );

β€œLLDC” means the London Legacy Development Corporation;

β€œLTGDC” means the London Thames Gateway Development Corporation;

β€œLTGDC relevant transfer” means a transfer of LTGDC’s trading stock from LTGDC to LLDC in relation to, in connection with, or by or under, the London Legacy Development Corporation and the London Thames Gateway Development Corporation (No. 1) Transfer Scheme 2012;

β€œOPLC” means the Olympic Park Legacy Company Limited, company registered number 06900359;

β€œOPLC relevant transfer” means a transfer of property, rights and liabilities from OPLC to LLDC, in relation to, in connection with, or by or under, the London Legacy Development Corporation and the Olympic Park Legacy Company Transfer Scheme 2012;

β€œtrading stock” has the same meaning as in section 163 of CTA 2009.

Transfers from OPLC to LLDC

3. β€”(1) This regulation applies to an OPLC relevant transfer.

(2) For the purposes of any enactment about income tax or corporation taxβ€”

(a) OPLC and LLDC are to be treated as the same person, and

(b) a relevant transfer is to be disregarded for those purposes.

(3) A relevant transfer is not to be regarded for the purposes of Part 8 of CTA 2009 (intangible fixed assets) as involving any realisation of an asset by OPLC or acquisition of an asset by LLDC.

(4) A relevant transfer is not to be regarded for the purposes of Part 14 of CTA 2010 (change in company ownership) as resulting in a change of ownership of a company.

(5) A relevant transfer does not give rise to any liability to stamp duty land tax.

Transfers from LTGDC to LLDC

4. β€”(1) This regulation applies to a LTGDC relevant transfer.

(2) Paragraphs (3) and (4) have effect in computing for any corporation tax purpose bothβ€”

(a) the profits of LTGDC’s trade in relation to which the stock transferred is trading stock immediately before the relevant transfer takes effect, and

(b) the consideration given by LLDC, or the expenditure incurred by it, for the acquisition of the stock.

(3) The stock must be taken to have beenβ€”

(a) disposed of by LTGDC in the course of its trade, and

(b) disposed of and acquired when the relevant transfer takes effect.

(4) The stock must be valued as if the disposal and acquisition were for a consideration which in relation to LTGDC would have resulted in neither a profit nor a loss being brought into account in respect of the disposal in the accounting period of LTGDC which ends with, or is current at, the time when the relevant transfer takes effect.

James Duddridge

Jeremy Wright

Two of the Lords Commissioners of Her Majesty’s Treasury

6th March 2012

Status: This is the original version (as it was originally made). This item of legislation is currently only available in its original format.
The London Legacy Development Corporation (Tax Consequences) Regulations 2012 (2012/701)

Displaying information

Status of this instrument

footnotecommentarytransitional and savingsin force statusrelated provisionsgeo extentinsert/omitsource countin force adj
Defined TermSection/ArticleIDScope of Application
CTA 2009reg. 2.CTA_2009_rtodCKo
CTA 2010reg. 2.CTA_2010_rtj8Ui4
LLDCreg. 2.LLDC_rttu6cw
LTGDCreg. 2.LTGDC_rtJ4NG9
LTGDC relevant transferreg. 2.LTGDC_rele_rtVyX5Y
OPLCreg. 2.OPLC_rtwMJ6e
OPLC relevant transferreg. 2.OPLC_relev_rtf8Vjd
trading stockreg. 2.trading_st_rtg4YaG

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