One company may make a payment to another group member as consideration for:
Paragraph 71 provides that these payments are left out of account for CT so long as they are made in the circumstances described below.
A payment for group reinvestment relief means a payment from a company, whose proceeds of realisation are reduced as a result of the claim, to the company whose acquisition costs or tax written down value are reduced in connection with the claim. The claims referred to are those made under FA02/SCH29/PARA56 (realisation by one group company and reinvestment by another - see CIRD20410), or FA02/SCH29/PARA57 (acquisition of group company treated as equivalent to acquisition of underlying assets - see CIRD20420). The payment should be made in pursuance of an agreement between the companies.
A payment for the reallocation of a taxable credit on degrouping (as provided for in FA02/SCH29/PARA66 - see CIRD40705) means a payment from the company to which the credit initially arises to the company to which, as a result of a joint election, the credit is reallocated. The payment should be made in pursuance of an agreement between the companies.
A payment as referred to above:
as long as it does not exceed ‘the amount of the relief’ (see below).
The amount of the relief is: