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8. In Chapter 2 of Part 7, after regulation 96 insert—
96A.—(1) CTA 2009(1) is modified as follows.
(2) In section 490 (holdings in OEICs, unit trusts and offshore funds treated as creditor relationship rights)—
(a)for subsection (2) the following subsection is treated as substituted—
“(2) The Corporation Tax Acts have effect for the accounting period in accordance with subsections (3) and (3A) as if—
(a)the relevant holding were rights under a creditor relationship of the company, and
(b)any distribution in respect of the relevant holding were not a distribution (and accordingly is within Part 5).”;
(b)after subsection (3) the following subsections are treated as inserted—
“(3A) To the extent that any distribution to which subsection (2)(b) applies relates to an unfranked part of a dividend distribution—
(a)regulation 48(2)(b) of the Authorised Investment Funds (Tax) Regulations 2006 applies to determine the amount of the distribution and any tax treated as deducted from that distribution, and
(b)regulations 48A and 48B of those Regulations(2) apply to determine the amount of any foreign income and the foreign element of the tax treated as deducted.
(3B) For the purposes of subsection (3A)—
(a)“dividend distribution” has the meaning given by regulation 22(3) of the Authorised Investment Funds (Tax) Regulations 2006, and
(b)regulation 49 of those Regulations explains how to calculate the unfranked part of the dividend distribution.”; and
(c)subsections (4) and (5) are treated as omitted.”.
CTA 2009 is defined in Part 1 of the Schedule to the principal Regulations as the Corporation Tax Act 2009 (c. 4).
Regulations 48A and 48B were inserted by S.I. 2010/1642.
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