Page 32 - P6 Slide Taxation - Lecture Day 5 - Groups
P. 32

Implications: Normal tax relief




                 provided for the holding company





          • In terms of section 47(5), the holding



               company must disregard the disposal or


               return of capital for purposes of determining


               its taxable income.




          • In other words, even though the holding


               company is technically disposing of shares as a


               result of the liquidation, the holding company



               does not have to account for the disposal for


               CGT purposes.






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