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There are currently no known outstanding effects for the Corporation Tax Act 2010, Cross Heading: Bonus issue following repayment of share capital.
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105(1)Section 1022(3) (amount paid up on bonus share capital treated as a distribution) does not apply if the share capital mentioned in section 1022(1)(a) was repaid before 7 April 1965.U.K.
(2)Section 1023(3) (which limits the cases in which section 1022(3) applies) applies only if the preference shares were issued after 6 April 1965 (but see sub-paragraph (3)).
(3)Section 1022(3) (amount paid up on bonus share capital treated as a distribution) does not apply if the repaid share capital referred to in section 1022(1) consists of fully paid preference shares and—
(a)those shares existed as issued and fully paid preference shares on 6 April 1965, and
(b)throughout the period from that date until the repayment those shares continued to be fully paid preference shares.
(4)In order for section 1023(1) to apply the issue of share capital there mentioned must take place after 5 April 1973 (as well as more than 10 years after the repayment of share capital in question).
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