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There are currently no known outstanding effects for the Land and Buildings Transaction Tax (Scotland) Act 2013, PART 2.
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2SA land transaction is exempt from charge if the seller and buyer are companies that at the effective date of the transaction are members of the same group.
Commencement Information
I1 Sch. 10 para. 2 in force at 1.4.2015 by S.S.I. 2015/108 , art. 2
3SRelief under this schedule is not available if at the effective date of the transaction there are arrangements in existence by virtue of which, at that or some later time, a person has or could obtain, or any persons together have or could obtain, control of the buyer but not of the seller.
Commencement Information
I2 Sch. 10 para. 3 in force at 1.4.2015 by S.S.I. 2015/108 , art. 2
4SParagraph 3 does not apply to arrangements to which paragraph 9 or 10 applies.
Commencement Information
I3 Sch. 10 para. 4 in force at 1.4.2015 by S.S.I. 2015/108 , art. 2
5SRelief under this schedule is not available if the transaction is effected in pursuance of, or in connection with, arrangements under which—
(a)the consideration, or any part of the consideration, for the transaction is to be provided or received (directly or indirectly) by a person other than a group company, or
(b)the seller and the buyer are to cease to be members of the same group by reason of the buyer ceasing to be a 75% subsidiary of the seller or a third company.
Commencement Information
I4 Sch. 10 para. 5 in force at 1.4.2015 by S.S.I. 2015/108 , art. 2
6SArrangements are within paragraph 5(a) if under them the seller or the buyer, or another group company, is to be enabled to provide any of the consideration, or is to part with any of it, by or in consequence of the carrying out of a transaction or transactions involving, or any of them involving, a payment or other disposition by a person other than a group company.
Commencement Information
I5 Sch. 10 para. 6 in force at 1.4.2015 by S.S.I. 2015/108 , art. 2
7SParagraph 5(b) does not apply to arrangements to which paragraph 10 applies.
Commencement Information
I6 Sch. 10 para. 7 in force at 1.4.2015 by S.S.I. 2015/108 , art. 2
8SRelief under this schedule is not available if the transaction—
(a)is not effected for bona fide commercial reasons, or
(b)forms part of arrangements the main purpose, or one of the main purposes, of which is the avoidance of liability to the tax.
Commencement Information
I7 Sch. 10 para. 8 in force at 1.4.2015 by S.S.I. 2015/108 , art. 2
9SThis paragraph applies to arrangements entered into with a view to an acquisition of shares by a company (“the acquiring company”)—
(a)in relation to which section 75 of the Finance Act 1986 (c.41) (stamp duty: acquisition relief) will apply,
(b)in relation to which the conditions for relief under that section will be met, and
(c)as a result of which the buyer will be a member of the same group as the acquiring company.
Commencement Information
I8 Sch. 10 para. 9 in force at 1.4.2015 by S.S.I. 2015/108 , art. 2
10SThis paragraph applies to arrangements in so far as they are for the purpose of facilitating a transfer of the whole or part of the business of a company to another company in relation to which—
(a)section 96 of the Finance Act 1997 (c.16) (stamp duty relief: demutualisation of insurance companies) is intended to apply, and
(b)the conditions for relief under that section are intended to be met.
Commencement Information
I9 Sch. 10 para. 10 in force at 1.4.2015 by S.S.I. 2015/108 , art. 2
11SIn this Part of this schedule—
“control” has the meaning given by section 1124 of the Corporation Tax Act 2010 (c.4),
“group company” means a company that at the effective date of the transaction is a member of the same group as the seller and the buyer.
Commencement Information
I10 Sch. 10 para. 11 in force at 1.4.2015 by S.S.I. 2015/108 , art. 2
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