CIRD40710 - Intangible assets: groups:
degrouping: reallocation between group members: relevant time and
relevant group
Relevant time and group for the purposes of reallocation
As mentioned in
CIRD40705, the two companies making an
election to reallocate a taxable credit on degrouping must both be
members of the ‘relevant group’ at the ‘relevant
time’.
In the case of company X reallocating a taxable credit on
degrouping to company Y, the ‘relevant time’ is:
- for a case within FA02/SCH29/PARA58 (
CIRD40510) the time immediately before
company X ceases to be a member of the group,
- for a case within FA02/SCH29/PARA60 (
CIRD40550) the time immediately before
X ceases to satisfy the qualifying condition.
And the relevant group is:
- for a case within paragraph 58 the group
of which company X was a member at the relevant time,
- for a case within paragraph 60 the
‘second group’ (Y’s group in the example in
CIRD40550).