For the purposes of corporation tax "qualifying corporate bond" means ... any asset representing a loan relationship of a company; and for purposes other than those of corporation tax references to a qualifying corporate bond shall be construed in accordance with the following provisions of this section.
For the purposes of this section, a "corporate bond" is a security, as defined in section 132(3)(b)—
and in paragraph (a) above "normal commercial loan" has the meaning which would be given by section 162 of CTA 2010 if for paragraphs (a) to (c) of subsection (2) of that section there were substituted the words "corporate bonds (within the meaning of section 117 of TCGA 1992)".
For the purposes of subsection (1)(b) above—
For the purposes of this section "corporate bond" also includes any asset which is not included in the definition in subsection (1) above and which is a deeply discounted security for the purposes of Chapter 8 of Part 4 of ITTOIA 2005 (see section 430).
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For the purposes of this section "corporate bond" also includes a share in a building society—
For the purposes of subsection (4) above, a share in a building society is a qualifying share if—
Subsection (2) above applies for the purposes of subsection (4) above as it applies for the purposes of subsection (1)(b) above, treating the reference to a security as a reference to a share.
For the purposes of this section "corporate bond" also includes, except in relation to a person who acquires it on or after a disposal in relation to which section 115 has or has had effect in accordance with section 116(10)(c), any debenture issued on or after 16th March 1993 which is not a security (as defined in section 132) but—
An excluded indexed security issued on or after 6th April 1996 is not a corporate bond for the purposes of this section; and an excluded indexed security issued before that date shall be taken to be such a bond for the purposes of this section only if—
In subsection (6B) above "excluded indexed security" has the same meaning as in Chapter 8 of Part 4 of ITTOIA 2005 (profits from deeply discounted securities) (see section 433).
Section 151T provides for arrangements to which section 151N (alternative finance arrangements: investment bond arrangements) applies also to be a corporate bond for the purposes of this section.
Subject to subsections (9) and (10) below, for the purposes of this Act, a corporate bond—
Where a person disposes of a corporate bond which was issued on or before 13th March 1984 and, before the disposal, the bond had not become a qualifying corporate bond, the disposal is excluded for the purposes of subsection (7) above if, by virtue of any enactment—
A corporate bond falling within subsection (2AA) above is a qualifying corporate bond whatever its date of issue.
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For the purposes of this section—
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The Treasury may by regulations provide that for the definition of the expression "permanent interest bearing share" in subsection (11) above (as it has effect for the time being) there shall be substituted a different definition of that expression, and regulations under this subsection or subsection (5)(b) above may contain such supplementary, incidental, consequential or transitional provision as the Treasury thinks fit.
This section shall have effect for the purposes of section 254 with the omission of subsections (4) to (6), (11) and (12).