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Land and Buildings Transaction Tax (Scotland) Act 2013

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This is the original version (as it was originally enacted).

PART 9Interpretation

Introduction

42This Part of this schedule defines expressions used in this schedule.

Partnership property

43Any reference to partnership property is to an interest or right held by or on behalf of a partnership, or the members of a partnership, for the purposes of the partnership business.

Partnership share

44Any reference to a person’s partnership share at any time is to the proportion in which the person is entitled at that time to share in the income profits of the partnership.

Transfer of chargeable interest

45References to the transfer of a chargeable interest include—

(a)the creation of a chargeable interest,

(b)the renunciation or release of a chargeable interest, and

(c)the variation of a chargeable interest.

Transfer of chargeable interest to a partnership

46For the purposes of this schedule, there is a transfer of a chargeable interest to a partnership in any case where a chargeable interest becomes partnership property.

Transfer of chargeable interest from a partnership

47For the purposes of this schedule, there is a transfer of a chargeable interest from a partnership in any case where—

(a)a chargeable interest that was partnership property ceases to be partnership property, or

(b)a chargeable interest is created out of partnership property and the interest is not partnership property.

Transfer of interest in a partnership

48For the purposes of this schedule, where a person acquires a partnership share or a person’s partnership share increases there is a transfer of an interest in the partnership (to that partner and from the other partners).

Connected persons

49In the application of section 1122 of the Corporation Tax Act 2010 (connected persons) for the purposes of this schedule—

(a)that section has effect with the omission of subsection (7) (partners connected with each other), and

(b)for the purposes of paragraph 12 or 22, that section has effect with the omission of subsection (6)(c) to (e) (trustee connected with settlement).

Arrangements

50“Arrangements” includes any scheme, agreement or understanding, whether or not legally enforceable.

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