Greater London Authority Act 1999

This section has no associated Explanatory Notes

8E+W+SFor the purposes of the M1Taxation of Chargeable Gains Act 1992, where pursuant to a PPP agreement there is a transfer of shares of a PPP company—

(a)from London Regional Transport or any of its subsidiaries,

(b)to a private sector company,

the transfer shall be deemed, in relation to the private sector company as well as the transferor, to be for a consideration such that neither a gain nor a loss accrues to the transferor.

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