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Official guidance
Capital Gains Manual

CG47320P · Capital Gains Manual: Companies and Groups of Companies: Groups of companies: Anti-gain buying rules in Finance Act 2006

  • CG47320 · Anti-gain buying rules in FA 2006 - general
  • CG47321 · Targeted anti-gain buying rule - general
  • CG47323 · Targeted anti-gain buying rule - definition of change of ownership
  • CG47324 · Targeted anti-gain buying rule - definition of arrangements
  • CG47325 · Targeted anti-gain buying rule - definition of tax advantage
  • CG47326 · Targeted anti-gain buying rule - is a tax advantage a main purpose?
  • CG47327 · Targeted anti-gain buying rule - tax advantage - choice of commercial options
  • CG47331 · Targeted anti-gain buying rule - effect of the new legislation
  • CG47332 · Targeted anti-gain buying rule - definition of pre-change asset
  • CG47333 · Targeted anti-gain buying rule - asset no longer regarded as a pre-change asset
  • CG47334 · Targeted anti-gain buying rule - time of loss accrual and company to which tax advantage arises
  • CG47335 · Targeted anti-gain buying rule - limited exception to the rule for gain assets held before change of ownership
  • CG47336 · Targeted anti-gain buying rule - interaction of legislation with pre-existing losses
  • CG47337 · Targeted anti-gain buying rule - example
  • CG47338 · Targeted anti-gain buying rule - commencement
  • CG47322 · Targeted anti-gain buying rule - general
  • CG47328 · Targeted anti-gain buying rule - tax advantage - choice of commercial options
  • CG47329 · Targeted anti-gain buying rule - choice of commercial options
  1. Capital Gains Manual: Companies and Groups of Companies: Groups of companies: Anti-gain buying rules in Finance Act 2006: Contents
  2. Targeted anti-gain buying rule - is a tax advantage a main purpose?

CG47326 | Targeted anti-gain buying rule - is a tax advantage a main purpose?

From HM Revenue & Customs · Capital Gains Manual

There is no one factor that determines whether the obtaining of a tax advantage is a main purpose of an arrangement. All of the circumstances in which the arrangements were entered into need to be taken into consideration. Such circumstances might include:

  • the overall commercial objective (this should be considered from the perspective of not only the individual participants but also from any wider corporate group to which they belong - for these purposes a commercial objective does not include tax motivated reasons);

  • whether this objective is one which the parties involved might ordinarily be expected to have, and which is genuinely being sought;

  • whether the objective is being fulfilled in a straightforward way or

  • whether the introduction of any additional complex or costly steps would have taken place were it not for the tax advantage that could be obtained.

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