Corporation Tax: Group relief: appointment of a receiver | Practical Law

Corporation Tax: Group relief: appointment of a receiver | Practical Law

The First-tier Tribunal has held that the appointment of a receiver over a group company meant that company was no longer under the same control as the other members of the group and so was unable to surrender its losses for the purposes of group relief.

Corporation Tax: Group relief: appointment of a receiver

Practical Law UK Articles 6-631-3520 (Approx. 3 pages)

Corporation Tax: Group relief: appointment of a receiver

by Norton Rose Fulbright LLP
Published on 28 Jul 2016
The First-tier Tribunal has held that the appointment of a receiver over a group company meant that company was no longer under the same control as the other members of the group and so was unable to surrender its losses for the purposes of group relief.