Part 2 Becoming a QAHC

Part 2 Becoming a QAHC

Entry notification

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(1)     This paragraph makes provision about the making of a notification to HMRC by a company that intends to be a QAHC (an “entry notificationâ€).

(2)     An entry notification must—

(a)     state the name and (where it has one) the Unique Taxpayer Reference of the company,

(b)     specify the date on which it is intended that the company should become a QAHC, and

(c)     include one of the following declarations—

(i)     that on that date, the company will meet all of the conditions in paragraph 2(1), or

(ii)     that on that date the company will meet all of those conditions except for the ownership condition, but it intends to rely on paragraph 16(4) (ownership condition treated as met for first two years of entry into QAHC regime).

(3)     The date specified may be no earlier than the later of—

(a)     the day after the day on which the entry notification is made to HMRC, and

(b)     1 April 2022.

(4)     Where an entry notification is made by a company that, at the time of making it, is resident in a territory outside the United Kingdom, the notification must also—

(a)

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