CG44110 - Targeted rules to prevent the contrived creation of capital losses by companies - company to which tax advantage arises

The legislation also applies where the tax advantage would otherwise ultimately have arisen to another company.

Specifically, in relation to schemes converting income to capital TCGA92/S184G provides that the income which would have been taken into account but for the arrangements may have arisen either in the relevant company or in any company in the same CG group.

In relation to schemes securing deductions, TCGA92/S184H provides that the tax advantage may arise either to the relevant company or any other company.