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111In section 18A (exemption for profits or losses of foreign permanent establishments), after subsection (2A) insert—
“(2B)Profits and losses are not to be left out of account as mentioned in subsection (2) so far as, if the company were non-UK resident, they would be gains or losses accruing on disposals of assets within section 2B(4)(a) or (b) of TCGA 1992 (interests in UK land or other assets deriving at least 75% of their value from UK land).”
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