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Income Tax Act 2007

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Changes over time for: Cross Heading: Transactions in securities: meaning of relevant companies for the purposes of sections 689 and 690

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Point in time view as at 01/04/2008.

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There are currently no known outstanding effects for the Income Tax Act 2007, Cross Heading: Transactions in securities: meaning of relevant companies for the purposes of sections 689 and 690. Help about Changes to Legislation

Transactions in securities: meaning of relevant companies for the purposes of sections 689 and 690U.K.

130(1)In its application to a transaction in securities that took place before 29 April 1996 or two or more transactions in securities the first of which took place before that date, section 691(1)(b)(i) (meaning of “relevant company”) applies with the substitution for the words “listed in the Official List of” of the words “authorised to be dealt in on”.U.K.

(2)In its application to a transaction in securities that took place before 1 January 1997 or two or more transactions in securities the first of which took place before that date, section 691(1) applies as if the companies referred to in paragraph (b) included companies none of whose shares or stocks are dealt in on the Unlisted Securities Market regularly or from time to time.

(3)In this paragraph “companies” and “transaction in securities” have the same meaning as in Chapter 1 of Part 13 (see section 713).

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