Part 14Income tax liability: miscellaneous rules
F1Chapter A1Remittance basis
F2Business investment relief
F3809VIAApplication of appropriate mitigation steps where TRF capital involved
(1)
This section applies in relation to a potentially chargeable event where, if no appropriate mitigation steps were regarded as taken, an amount of TRF capital would (ignoring this section) be treated as remitted to the United Kingdom immediately after the end of the relevant grace period as a result of section 809VG(2).
(2)
Where there has been a disposal of all or part of the holding (see section 809VI(1) or (2)(b)), so much of the proceeds of that disposal as are equal to that amount of TRF capital is to be regarded as comprising that TRF capital.
(3)
Section 809VI has effect as if references in that section to the disposal proceeds did not include the TRF capital.
(4)
Unless section 809VG(2) applies in relation to the potentially chargeable event, the TRF capital is to be treated as remitted to the United Kingdom at the time the potentially chargeable event occurred.