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SCHEDULES

SCHEDULE 4U.K. Taxation Provisions

Part IIE+W+S Stamp Duty and Stamp Duty Reserve Tax

Transactions attracting exemptionsE+W+S

26E+W+SFor the purposes of this Part of this Schedule a transaction is an exempt transaction if it is a transaction by virtue of which property, rights or liabilities are vested by or under Part I of this Act in a person who is a public-sector body within the meaning of Part I of this Schedule.

Stamp dutyE+W+S

27(1)Subject to sub-paragraph (2) below, an exempt transaction shall not give rise to any charge to stamp duty except in so far as the charge to duty is on an instrument under this Act which is neither a restructuring scheme nor an instrument that has been certified to the Commissioners of Inland Revenue by the Secretary of State to have been made—E+W+S

(a)in pursuance of a restructuring scheme; or

(b)by virtue of any provision of this Act, for the purpose of modifying the effect of such a scheme.

(2)No instrument which is certified as mentioned in sub-paragraph (1) above shall be taken to be duly stamped unless—

(a)it is stamped with the duty to which it would, but for that sub-paragraph, be liable; or

(b)it has, in accordance with section 12 of the M1Stamp Act 1891, been stamped with a particular stamp denoting that it is not chargeable with that duty or that it is duly stamped.

(3)Stamp duty shall not be chargeable on any instrument by which the Treasury or the Secretary of State, or any nominee of the Treasury or the Secretary of State, transfers securities of a company to another company if—

(a)at least one of those companies is a successor company; and

(b)each of the companies is wholly owned by the Crown at the time when the instrument is made.

Marginal Citations

Stamp duty reserve taxE+W+S

28(1)No agreement for the purposes of, or for purposes connected with giving effect to—E+W+S

(a)so much of any restructuring scheme as relates to an exempt transaction, or

(b)any exempt transaction to which effect is given by the modification of any restructuring scheme,

shall give rise to a charge to stamp duty reserve tax.

(2)No agreement by which the Treasury or the Secretary of State, or any nominee of the Treasury or the Secretary of State, agrees to transfer securities of a company to another company shall give rise to a charge to stamp duty reserve tax if—

(a)at least one of those companies is a successor company; and

(b)each of the companies is wholly owned by the Crown at the time when the instrument is made.