SCHEDULES

SCHEDULE 19U.K.Large businesses: tax strategies and sanctions

PART 1 U.K.Interpretation

“Qualifying company” U.K.

5(1)A UK company is a “qualifying company” in any financial year (subject to any regulations under sub-paragraph (5)) if sub-paragraph (2) or (3) applies to it.U.K.

(2)This sub-paragraph applies to the company if, at the end of the previous financial year—

(a)it satisfied the qualification test for a UK company, and

(b)was not a member of a UK group or a UK sub-group.

(3)This sub-paragraph applies to the company if, at the end of the previous financial year—

(a)it was a member of a foreign group,

(b)the group met the qualification test for a group, and

(c)it was not a member of a UK sub-group of that foreign group.

(4)The qualification test for a UK company is that the company satisfied either or both of the following conditions (by reference to the previous financial year)—

1. The company's turnoverMore than £200 million
2. The company's balance sheet totalMore than £2 billion.

(5)The Treasury may by regulations provide that a company of a description specified in the regulations is not a qualifying company for the purposes of this Schedule (or any such purpose specified in the regulations).

(6)For the purposes of this paragraph a UK permanent establishment of a foreign relevant body is to be treated as if it were—

(a)a UK company, and

(b)if the foreign relevant body is a member of a UK group or a UK sub-group, a member of that group or sub-group.