D4.720 Hybrid entity double deduction mismatches
There are three conditions which must all be met for the rules restricting a double deduction to apply, as follows1:
- Ìý
•ÌýÌýÌýÌý there is an amount (or part thereof) which it is reasonable to suppose could both be deducted from the income of a hybrid entity for a taxable period and be deducted from the income of an investor in the hybrid entity for a taxable period (this amount is the hybrid entity double deduction amount)
- Ìý
•ÌýÌýÌýÌý either the hybrid entity or the investor in it is within the charge to corporation tax
- Ìý
•ÌýÌýÌýÌý the hybrid entity and any investor in it are related2 during a relevant timeframe involving the double deduction amount, or the arrangement is a structured arrangement (ie one where it would be reasonable to assume that the arrangement is designed to secure a hybrid entity double deduction amount or the economic benefit of the amount is shared between the parties to reflect the fact that the double deduction amount is expected
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