SCHEDULES
SCHEDULE 19Large businesses: tax strategies and sanctions
PART 3Sanctions for persistently unco-operative large businesses
Application of Part 3 to large UK sub-groups
50
1
A UK sub-group of a foreign group falls within this Part if—
a
the sub-group has persistently engaged in unco-operative behaviour (see paragraphs 36 to 38),
b
some or all of the unco-operative behaviour has caused there to be, or contributed to there being, two or more significant tax issues in respect of the sub-group or members of the sub-group which are unresolved (see paragraph 39), and
c
there is a reasonable likelihood of further instances of the sub-group engaging in unco-operative behaviour in a manner which causes there to be, or contributes to there being, significant tax issues in respect of the sub-group or members of the sub-group.
2
Paragraphs 36 to 40 apply in relation to a UK sub-group as they apply in relation to a UK group.
3
Paragraphs 41 to 45 apply in relation to the head of a UK sub-group of a foreign group that is a qualifying group at the material time as they apply in relation to the head of a UK group.
4
In the application of paragraph 41 in the case of a UK sub-group, sub-paragraph (4) has effect in relation to a UK sub-group as if for paragraphs (b) and (c) there were substituted—
b
the identity of the sub-group is not to be regarded as altered by any change in its membership resulting from a relevant body—
i
becoming a 51% subsidiary of a member of the sub-group, or
ii
ceasing to be a 51% subsidiary of another member of the sub- group; and
c
if the sub-group becomes a UK sub-group of another foreign group, it is to be treated as if it were still a UK sub-group of the original foreign group.
5
As applied by this paragraph, paragraphs 36 to 45 have effect as if references to a UK group (including in references to the head of a UK group or members of a UK group) were references to a UK sub-group.
6
In paragraphs 40, 41, 46, 47 and 49, references to a group (including in references to the head of a group or members of a group) include a UK sub-group.
7
In paragraph 46, references to the head of a UK group include the head of a UK sub-group.