There are four conditions, which must be satisfied before a loss
arising in a 75% subsidiary resident in another European Economic
Area (EEA) territory will be available for group relief in the UK,
(
CTM81510). The third of these is the
‘qualifying loss condition’, which in turn has three
conditions which need to be met.
Broadly a ‘qualifying loss’ is one:
UK group relief will only be available for a loss that meets all
three of those conditions.
Taken together they form a stringent test, which is likely to
apply only in extremely restricted circumstances.
There are worked examples at
CTM81620.
In the context above relief takes a wide meaning and includes amounts taken into account in arriving at profits, income or gains as well as amounts otherwise given as tax relief, for example by credit or reduction of tax liability, or any other way in which the loss is given up for value.