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SCHEDULES

SCHEDULE 9U.K.Transitionals and savings etc

Part 10 U.K.Alternative finance arrangements

Alternative finance arrangements entered into before certain dates etcU.K.

37(1)The alternative finance provisions do not apply to purchase and resale arrangements entered into before 6 April 2005 or diminishing shared ownership arrangements entered into before the relevant date.U.K.

(2)If deposit arrangements, profit share agency arrangements or investment bond arrangements were entered into before the relevant date, the alternative finance provisions only apply if alternative finance return is payable under the arrangements on or after the relevant date and then—

(a)apply for the purposes of income tax in relation to payments of alternative finance return under the arrangements to a person other than a company on or after the relevant date (so far as relevant to the tax year 2010-11 and subsequent tax years), and

(b)if a company is a party to the arrangements, apply in relation to the company in respect of the arrangements with effect from the relevant date (so far as relevant to those tax years or, as the case may be, any accounting period ending on or after 1 April 2010).

(3)Sub-paragraph (2) is subject to sub-paragraph (4).

(4)For the purposes of income tax and capital gains tax in relation to the disposal after 6 April 2007 of investment bond arrangements (whenever entered into), the relevant provisions are treated as always having had effect.

(5)An order made under section 1005 of ITA 2007 (recognised stock exchanges: designation) that includes such provision as is mentioned in section 1005(2A) may be expressed as respects that provision—

(a)to have had effect as from 1 April 2007 for the purposes of arrangements entered into on or after that date, and

(b)for the purposes mentioned in sub-paragraph (4) as always having had effect.

(6)In this paragraph—