Transport Act 1981

7(1). . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . F1E+W+S

(2)Section 92(9)(b) of the M1Finance Act 1972 (restriction on surrender of surplus advance corporation tax) and section 28(2) of the Finance Act 1973 (restriction of group relief) shall not apply to the Holding Company as the parent company of Associated British Ports.

(3)Payments by Associated British Ports under section 11(1) of this Act shall be treated as dividends for the purposes of the enactments relating to corporation tax.

(4)The vesting on the appointed day in the Holding Company of powers in relation to Associated British Ports shall not be regarded as constituting a change in the ownership of Associated British Ports for the purposes of section 483 of the M2Income and Corporation Taxes Act 1970 (restriction on carry forward of loss relief) or section 101 of the M3Finance Act 1972 (restriction on carry forward of relief for advance corporation tax).