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30In section 486 of that Act (industrial and provident societies)—
(a)in subsection (1), for the words from “and, subject to subsection (7)” onwards there shall be substituted “but interest payable by such a society (whether as share interest or loan interest) shall be treated for the purposes of corporation tax as interest under a loan relationship of the society.”; and
(b)in subsection (7), for the words from “not be deductible” onwards there shall be substituted “not be brought into account in that period for the purposes of Chapter II of Part IV of the Finance Act 1996 (loan relationships).”
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