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Finance Act 2010

Details of the Section

2.Subsection (2) inserts a new subsection (3) into section 117 of the Income Tax Act 2007 (ITA) signposting the new section 127A.

3.Subsection (3) inserts a new subsection (7) into section 120 of ITA, similarly signposting the new section 127A.

4.Subsection (4) inserts new section 127A after section 127 of ITA.

5.New section 127A(1) provides that the section applies if, in a tax year, a person makes a loss in a UK or overseas property business (alone or in partnership), the loss has a capital allowances connection (as defined in section 123(2)) and the loss arises directly or indirectly in consequence of, or otherwise in connection with, “relevant tax arrangements” as defined in new subsection (4).

6.New section 127A(2) provides that the property loss cannot be set off against general income to the extent that the loss is attributable to the AIA.

7.New section 127A(3) gives a rule ensuring that the AIA is treated as the first element of a property loss in priority to other capital allowances and other expenses that may be set off against other income.

8.New section 127A(4) defines the phrase “relevant tax avoidance arrangements” as used in new subsection (1). These are arrangements to which the person is a party and the main purpose, or one of the main purposes, of which is to put the person in a position to make use of an AIA in the obtaining of a reduction in tax liability by means of property loss relief against general income.

9.New section 127A(5) defines “arrangements” as including any agreement, understanding, scheme, transaction or series of transactions (whether or not legally enforceable).

10.New section 127A(6) explains that “the applicable amount of the loss” has the meaning given to it by section 122 of ITA.

11.Subsection (5) of the section gives the commencement rule. The section only applies to property losses arising from arrangements entered into on or after 24 March 2010, or transactions forming part of arrangements entered into on or after 24 March 2010.

12.Subsection (6) excludes arrangements or transactions entered into pursuant to an unconditional obligation in a contract made before 24 March 2010.

13.Subsection (7) explains what is meant by an unconditional obligation. It is an obligation that may not be varied or extinguished by the exercise of a right (whether or not under the contract).

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