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Home / Simons-Taxes /Corporate tax /Part D4 Overseas issues /Division D4.7 Hybrid entities /Tax arbitrage / D4.745 Tax arbitrage—clearance
Commentary

D4.745 Tax arbitrage—clearance

Corporate tax

The provisions in this article were repealed from 1 January 2017. From 1 January 2017, the rules dealing with hybrid and other mismatches apply; see D4.701 onwards. The latter rules were introduced as part of the OECD BEPS action plan on international corporate tax avoidance.

HMRC have agreed to operate an informal clearance procedure, by way

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