Income Tax Act (Cap. 123)
Income Tax Act (Cap. 123), article 27A
27A. Notwithstanding the provisions contained in the Income
Tax Acts, the Minister may make rules regulating the tax treatm ent
of companies and their members and other similar bodies or
persons concerning mergers and divisions of companies, transfer of
assets between companies, a transfer between a company and a pe rson
who is related to it in such manner as may be prescribed and ex change
of shares concerning companies an d for the purposes of this art icle:
(a) "merger" shall mean a n operatio n whereby:
- one or more companies, on being dissolved
without going into liquidation, transfer all their
assets and liabilities to another existing
company in exchange for the issue to their
shareholders of securities representing the
*Applicable from the year of assessment 2019.
INCOME TAX [CAP. 123. 121
capital of that other compa ny, and, if applicable,
a cash payment not exceeding such percentage
as may be prescribed of the nominal value, or, in
the absence of a nominal value, of the
accounting par value of those securities,
- two or more companies, on being dissolved
without going into liquidation, transfer all their
assets and liabilities to a company that they
form, in exchange for the issue to their
shareholders of securities representing the
capital of that new company, and, if applicable,
a cash payment not exceeding such percentage
as may be prescribed of the nominal value, or in
the absence of a nominal value, of the
accounting par value of those securities,
- a company, on being dissolved without going
into liquidation, transfers all its assets and
liabilities to the company holding all the
securities representing its capital;
(b) "division" shall mean a n operation whereby a
company, on being dissolved without going into
liquidation, transfers all its assets and liabilities to two
or more existing or new companies, in exchange for
the pro rata issue to its shareholders of securities
representing the capital of the companies receiving the
assets and liabilities and, if applicable, a cash payment
not exceeding such percentage as may be prescribed of
the nominal value or, in the absence of a nominal
value, of the accounting par value of those securities;
(c) "transfer of assets" shall mean an operation whereby a
company transfers without being dissolved all or one
or more branches of its activity to another company in
exchange for the transfer of securities representing the
capital of the company r eceiving the transfer;
(d) "exchange of shares" shall mean an operation whereby
a company acquires a holding in the capital of another
company such that it obtains a majority of the voting
rights in that company in exchange for the issue to the
shareholders of the latter company, in exchange for
their securities, of securities representing the capital of
the former company, and, if applicable, a cash payment
not exceeding such percentage as may be prescribed of
the nominal value or, in the absence of a nominal
value, of the accounting par value of the securities
issued in exchange;
(e) "transferring company" shall mean the company
transferring its assets and liabilities or transferring all
or one or more branches of its activity;
(f) "receiving company" shall mean the company
receiving the assets and liabi lities or all or one or more
branches of the ac tivity of the transferring company;
122 CAP. 123.] INCOME TAX
(g) "acquired company" shall mean the company in which
a holding is acquired by another company by means of
an exchange of securities;
(h) "acquiring company" shall mean the company which
acquires a holding by means of an exchange of
securities;
(i) "branch of activity" shall mean all the assets and
liabilities of a division of a company which from an
organizational point of view constitute an independent
business, that is to say an entity capable of functioning
by its own means.
Taxation of trusts.
Added by:
XIII. 2004.52.
Text read from the consolidated PDF published by Legislation Malta. Tables, figures and marginal notes may be incomplete or out of place: the official PDF is authoritative. General information, not legal, tax or accounting advice.