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Official guidance
Capital Gains Manual

CG65930P · Reliefs: losses on loans to traders (including payments under a guarantee): relief for losses on loans to traders

  • CG65931 · Losses: loans to traders: qualifying loans
  • CG65932 · Losses: loans to traders
  • CG65933 · Losses: loans to traders: loan used partly for trade purposes
  • CG65934 · Losses: loans to traders: other conditions for relief
  • CG65940 · Losses: loans to traders: claims
  • CG65941 · Losses: loans to traders: date of allowable loss
  • CG65950 · Losses: loans to traders: irrecoverability: general
  • CG65951 · Losses: loans to traders: making loan/date irrecoverability claimed
  • CG65952 · Losses: loans to traders: irrecoverability: borrower continues to trade
  • CG65954 · Losses: loans to traders: irrecoverability: lender makes further loans
  • CG65956 · Losses: loans to traders: irrecoverability: partial claims
  • CG65957 · Losses: loans to traders: irrecoverability: claims re later loans
  • CG65958 · Losses: loans to traders: irrecoverability: terms of loan/acts of lender
  • CG65970 · Losses: loans to traders: subsequent recoveries
  • CG65930 · Losses: loans to traders: contents of section
  • CG65935 · Losses: loans to traders: other conditions for relief
  • CG65942 · Losses: loans to traders: date of allowable loss: ESC D36 SP3 83
  • CG65953 · Losses: loans to traders: irrecoverability: borrower continues to trade
  • CG65955 · Losses: loans to traders: irrecoverability: lender makes further loans
  • CG65959 · Losses: loans to traders: refusal of claims made before 6 April 1996
  • CG65960 · Losses: loans to traders: refusal of claims prior to 6 April 1996
  1. Reliefs: losses on loans to traders (including payments under a guarantee): relief for losses on loans to traders: contents
  2. Losses: loans to traders

CG65932 | Losses: loans to traders

From HM Revenue & Customs · Capital Gains Manual

Loans are not defined, but we accept that bank overdrafts and credit balances in directors’ loan accounts are capable of qualifying. Ordinary trade debts in respect of supplies, which qualify for a Case 1 deduction, will not normally qualify. However, if there is an agreement between the trader and the supplier on terms which provide abnormally long credit periods, then debts may, exceptionally, qualify. Such debts will not qualify where they merely represent unenforced trade debts where there has been no specific agreement to extend the period of credit.

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