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Statutory Instruments

2020 No. 1383

Exiting The European Union

Capital Gains Tax

Corporation Tax

Income Tax

The Double Taxation Dispute Resolution (EU) (Revocation) (EU Exit) Regulations 2020

Made

30th November 2020

Laid before the House of Commons

1st December 2020

Coming into force in accordance with regulation 1

The Treasury, in exercise of the powers conferred by section 128A(1), (2) and (3) of the Taxation (International and Other Provisions) Act 2010( 1 ), make the following Regulations:

Citation and commencement

1. These Regulations may be cited as the Double Taxation Dispute Resolution (EU) (Revocation) (EU Exit) Regulations 2020 and come into force on IP completion day( 2 ).

Revocation of the Double Taxation Dispute Resolution (EU) Regulations 2020

2.The Double Taxation Dispute Resolution (EU) Regulations 2020( 3 ) are revoked.

James Morris

Michael Tomlinson

Two of the Lords Commissioners of Her Majesty’s Treasury

30th November 2020

( 1 )

2010 c. 8 . Section 128A of that Act was inserted by section 83 of the Finance Act 2019 (c. 1) .

( 2 )

“IP completion day” is defined in Schedule 1 to the Interpretation Act 1978 (c. 30) as having the same meaning as in the European Union (Withdrawal Agreement) Act 2020 (c. 1) (see section 39(1) to (5) of that Act). The definition of IP completion day was inserted by paragraph 12 of Part 2 of Schedule 5 to the European Union (Withdrawal Agreement) Act 2020.

Status: This is the original version (as it was originally made). This item of legislation is currently only available in its original format.
The Double Taxation Dispute Resolution (EU) (Revocation) (EU Exit) Regulations 2020 (2020/1383)

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