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Official guidance
Capital Gains Manual

CG54000P · Shares and securities: qualifying corporate bonds: Finance Act 1996: loan relationships

  • CG54000 · Qualifying corporate bonds: FA96: loan relationships
  • CG54010 · Qualifying corporate bonds: FA96: loan relationships
  • CG54020 · Qualifying corporate bonds: FA96: loan relationships
  • CG54025 · Qualifying corporate bonds: loan relationships: convertible securities
  • CG54030 · Qualifying corporate bonds: loan relationships: chargeable assets
  • CG54035 · Qualifying corporate bonds: loan relationships: exempt circumstances
  • CG54050 · Qualifying corporate bonds: loan relationships: transitional: overview
  • CG54055 · Qualifying corporate bonds: loan relationships: excluded debt categories
  • CG54060 · Qualifying corporate bonds: loan relationships: transitional
  • CG54065 · Qualifying corporate bonds: loan relationships: transitional: charge
  • CG54075 · Qualifying corporate bonds: loan relationships: transitional amount
  • CG54090 · Qualifying corporate bonds: FA96: loan relationships: CG consequences
  • CG54100 · Qualifying corporate bonds: FA2002: loan relationships
  • CG54110 · Qualifying corporate bonds: FA2002: loan relationships
  • CG54120 · Qualifying corporate bonds: FA2002: loan relationships
  • CG54125 · Qualifying corporate bonds: loan relationships: convertible securities
  • CG54130 · Qualifying corporate bonds: loan relationships: asset-linked securities
  • CG54150 · Qualifying corporate bonds: loan relationships: FA2002 Foreign exchange (FOREX)
  • CG54155 · Qualifying corporate bonds: loan relationships: FA2002 Foreign exchange (FOREX) matching
  • CG54160 · Qualifying corporate bonds: FA2002: derivatives
  • CG54070 · Qualifying corporate bonds: loan relationships: transitional: charge
  1. Shares and securities: qualifying corporate bonds: Finance Act 1996: loan relationships: contents
  2. Qualifying corporate bonds: FA96: loan relationships

CG54020 | Qualifying corporate bonds: FA96: loan relationships

From HM Revenue & Customs · Capital Gains Manual

This guidance describes the capital gains aspects of the regime for Loan Relationships for companies from 1 April 1996 until the first accounting period to start on or after 1 October 2002. For periods beginning on or after 1 October 2002 see CG54100+

The following categories of loan relationship are not treated as QCBs for the purposes of Corporation Tax

  • loan relationships which are convertible into, or give rights to acquire, shares, see CG54025

  • loan relationships which are linked to the value of chargeable assets, see CG54030 and

  • certain loan relationships held in exempt circumstances, see CG54035.

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