This section applies if, as a result of section 3, an amount in respect of a gain accruing to a company in tax year 2024-25 or an earlier tax year was apportioned to an individual who was not domiciled in the United Kingdom in that year.
The apportioned amount is regarded for the purposes of paragraph 1 of Schedule 1 as accruing on a disposal of a foreign asset if the asset disposed of by the company is a foreign asset (but not otherwise).
For the purposes of Chapter A1 of Part 14 of ITA 2007 (remittance basis)—
The apportioned amount may not be reduced or extinguished by a loss under section 3 if—
Paragraph 5 of Schedule 1 applies for the purposes of this section as it applies for the purposes of that Schedule.