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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: FA2002: loan relationships

CG54120 | Qualifying corporate bonds: FA2002: loan relationships

From HM Revenue & Customs · Capital Gains Manual

This guidance describes the capital gains aspects of the regime for Loan Relationships for companies for accounting periods ending on or after 26 July 2001 unless the company ceased to be a party to the relationship before that date. For periods ending before 26 July 2001, and where the companies ceased to be a party to a relationship before that date, see CG54000+.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 CG54125, and

  • loan relationships which are linked to the value of specific kinds of chargeable assets, see CG54130.

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