Regulation 18 is modelled on ICTA88/S245B and follows the same
approach. It restricts the set off of unrelieved surplus ACT where
the company's capacity after the change in ownership derives wholly
or in part from a gain on an asset transferred from another member
of the new group.
It applies where:
When the conditions are met, the limit on the amount of
unrelieved surplus ACT to be set against the company's liability to
CT is reduced by 20% of the chargeable gain.
An acquired asset and the disposed asset are treated as the
same asset if the value of the latter is derived in whole or in
part from the former (see
CTM81230).