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SCHEDULES

SCHEDULE 2U.K.Alternative finance arrangements

Part 3 U.K.Other amendments

Income Tax (Earnings and Pensions) Act 2003 (c. 1)U.K.

48U.K.ITEPA 2003 is amended as follows.

49U.K.After section 173 (loans to which Chapter 7 of Part 3 (taxable benefits: loans) applies) insert—

173AAlternative finance arrangements

(1)For the purposes of this Chapter a reference to a loan includes a reference to arrangements—

(a)to which section 564C of ITA 2007 or section 503 of CTA 2009 (purchase and resale arrangements) applies (or would apply assuming one of the parties were a financial institution), or

(b)to which section 564D of ITA 2007 or section 504 of CTA 2009 (diminishing shared ownership arrangements) applies (or would apply on that assumption).

(2)In the application of this Chapter as a result of this section, a reference to interest is to be treated as including alternative finance return (or anything that would be such return on that assumption).

(3)In the application of this Chapter as a result of this section, a reference to the amount outstanding is to be taken—

(a)in the case of arrangements within subsection (1)(a), as a reference to the purchase price minus such part of the aggregate payments made as does not represent alternative finance return (or anything that would be such return on that assumption),

(b)in the case of arrangements to which section 564D of ITA 2007 or section 504 of CTA 2009 applies, as a reference to the amount of the financial institution's original beneficial interest minus such part of the aggregate payments made as does not represent alternative finance return, and

(c)in the case of arrangements to which section 564D of ITA 2007 or section 504 of CTA 2009 would apply assuming one of the parties were a financial institution, as a reference to the amount of that party's original beneficial interest minus such part of the aggregate payments made as does not represent anything that would be alternative finance return on that assumption.

(4)In this section—

(5)This section does not apply to arrangements entered into before 22 March 2006.