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Finance Act 2000

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Changes and effects yet to be applied to Schedule 15 Part V Crossheading Attribution-of-relief-to-shares:

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Attribution of relief to sharesE+W+S+N.I.

45(1)References in this Schedule, in relation to a company, to the investment relief attributable to any shares or issue of shares shall be read as references to any reduction made in the company’s liability to corporation tax that is attributed to those shares or that issue in accordance with this paragraph.E+W+S+N.I.

This is subject to the provisions of Part VI of this Schedule providing for the reduction or withdrawal of investment relief.

(2)Where a company’s liability to corporation tax is reduced for an accounting period under paragraph 39 (form of investment relief), then—

(a)where the reduction is obtained by reason of one issue of shares, the amount of the reduction shall be attributed to that issue, and

(b)where the reduction is obtained by reason of two or more issues of shares, the reduction—

(i)shall be apportioned between those issues in the same proportions as the amounts subscribed by the company for each issue, and

(ii)shall be attributed to those issues accordingly.

(3)Where under this paragraph an amount of any reduction of corporation tax is attributed to an issue of shares (“the original issue”) to a company a proportionate part of that amount shall be attributed to each share comprised in the original issue.

(4)If corresponding bonus shares are issued to the company in respect of any shares (“the original shares”) comprised in the original issue that have been continuously held by the company from the time they were issued until the issue of the bonus shares—

(a)a proportionate part of the total amount attributed to the original shares immediately before the bonus shares are issued shall be attributed to each of the shares in the holding comprising the original shares and the bonus shares, and

(b)after the issue of the bonus shares, this Schedule shall apply as if—

(i)the original issue had included the bonus shares, and

(ii)the bonus shares had been held by the company continuously from the time the original shares were issued until the bonus shares were issued.

(5)In sub-paragraph (4) “corresponding bonus shares” means bonus shares which are in the same company, of the same class, and carry the same rights as the original shares.

(6)If investment relief attributable to any shares falls to be withdrawn under Part VI of this Schedule the relief attributable to each of the shares shall be reduced to nil.

(7)If investment relief attributable to any shares falls to be reduced under Part VI of this Schedule by any amount the relief attributable to each of the shares shall be reduced by a proportionate part of that amount.

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