Related Commentary  Related HMRC Manuals

676CI(1)  In this Chapter “co-transferred company” means any company which is related to the transferred company both immediately before and immediately after the change in ownership.

676CI(2)  For the purposes of this Chapter any two companies (“T”) and (“C”) are “related” to one another at any time when–

(a)the group condition is met in relation to T and C, or

(b)any of consortium conditions 1 to 4 is met in relation to T and C,

(whether on the assumption that T is the claimant company and C is the surrendering company or vice versa).

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