CORPORATION TAX – scheme to avoid tax on chargeable gains – whether derivative transactions gave rise to chargeable gains and losses – whether loss arising on disposal of shares in group company was an allowable loss – ICTA, s 128, and TCGA, ss 2 and 143 – application of Ramsay principle
Citations:
[2012] UKUT 362 (TCC), FTC/72 and 79/2011
Links:
Jurisdiction:
England and Wales
Corporation Tax
Updated: 10 November 2022; Ref: scu.466694