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Corporation Tax Act 2009

Overview

1048.This Chapter provides definitions for this Part and Part 6.

Section 302: “Loan relationship”, “creditor relationship”, “debtor relationship”

1049.This section defines three important terms used in the two Parts. It is based on sections 81(1) and 103(1) of FA 1996.

Section 303: “Money debt”

1050.This section defines “money debt” for the purposes of the definition of a loan relationship in section 302 and elsewhere. It is based on section 81(2) to (4) of FA 1996.

1051.Section 81(6) which states that “money” includes money expressed in a currency other than sterling is unnecessary and has not been rewritten. “Money”, in its usual meaning, already includes currencies other than sterling.

Section 304: “Related transaction”

1052.This section explains what is meant by a “related transaction”. It is based on section 84(5) and (6) of FA 1996.

Section 305: Payments, interest, rights and liabilities under a loan relationship

1053.This section explains what is meant by these terms. It is based on section 81(5) of FA 1996.

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