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Finance Act 2006

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29(1)This paragraph determines the amount of the income under paragraph 23 when a qualifying change in the interest of a company (“the partner company”) in a business of leasing plant or machinery occurs on any day (“the relevant day”).U.K.

(2)The amount of the income is found by—

(a)applying the following formula to give the basic amount, and

(b)making the adjustment in accordance with paragraph 30 or 31 to the basic amount.

(3)The formula is—

(4)In this paragraph “PM” has the meaning given by paragraph 17, but —

(a)reading any reference in that paragraph to the relevant company as a reference to the partnership, and

(b)reading any reference in that paragraph to an associated company of the relevant company on the relevant day as a reference to a qualifying company (see sub-paragraph (7)).

(5)In this paragraph “TWDV” means the amount found by adding together—

(a)the total amount of unrelieved qualifying expenditure in single asset pools for the new chargeable period that would be carried forward in the pools from the old chargeable period under section 59 of CAA 2001,

(b)the total amount of unrelieved qualifying expenditure in class pools for the new chargeable period that would be carried forward in the pools from the old chargeable period under that section, and

(c)the amount of unrelieved qualifying expenditure in the main pool for the new chargeable period that would be carried forward in the pool from the old chargeable period under that section.

(6)For the purposes of “TWDV”—

(a)it is to be assumed that the chargeable period (within the meaning of CAA 2001) of the partnership ends on the relevant day (“the old chargeable period”) and a new one begins on the following day (“the new chargeable period”), and

(b)expenditure incurred by the partnership in acquiring plant or machinery on the relevant day is to be left out of account unless it is acquired from a qualifying company.

(7)In this paragraph “qualifying company” means each of the following—

(a)the partner company,

(b)any company which is an associated company of the partner company on the relevant day,

(c)any other partner company in relation to whose interest in the business there is a qualifying change on the relevant day,

(d)any other partner company in relation to which there is a qualifying change of ownership on the relevant day, and

(e)any company which is an associated company of any other partner company mentioned in paragraph (c) or (d) on the relevant day.

(8)For this purpose “any other partner company” means a company—

(a)which carries on the business at the start of the relevant day, and

(b)which is within the charge to corporation tax in respect of the business.

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