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Contents

Official guidance
Company Taxation Manual

CTM03500 · Corporation Tax: small profits relief: financial years up to and including 2014

  • CTM03505 · Introduction
  • CTM03510 · Corporation Tax: small profits relief: rates, limits & fractions
  • CTM03520 · Corporation Tax: small companies: the starting rate - financial years 2000 to 2005
  • CTM03530 · Corporation Tax: small profits relief: no associated companies - profits not exceeding the lower limit
  • CTM03540 · Corporation Tax: small profits relief: no associated companies - profits exceeding the lower limit
  • CTM03550 · Corporation Tax: small profits relief: no associated companies - accounting period less than 12 months
  • CTM03560 · Corporation Tax: small profits relief: company with associated companies
  • CTM03570 · Corporation Tax: small profits relief: associated company - definition
  • CTM03580 · Corporation Tax: small profits relief: associated company - main rules of association
  • CTM03590 · Corporation Tax: small profits relief: whether trade or business carried on - decided cases
  • CTM03591 · Corporation tax: small profits relief: whether trade or business carried on - business compared with trade
  • CTM03592 · Corporation tax: small profits relief: whether trade or business carried on - investment and holding companies
  • CTM03600 · Corporation Tax: small profits relief: definition of augmented profits
  • CTM03640 · Corporation Tax: small profits relief: accounting period straddling financial year - differing relevant amounts or limits
  • CTM03650 · Corporation Tax: small profits relief: small profits relief examples - summary
  • CTM03653 · Corporation Tax: small profits relief: example 1
  • CTM03654 · Corporation Tax: small profits relief: example 2
  • CTM03655 · Corporation Tax: small profits relief: example 3
  • CTM03670 · Corporation Tax: small profits relief: administrative
  • CTM03710 · Corporation Tax: small profits relief: associated companies - detailed provisions - introduction
  • CTM03730 · Corporation Tax: small profits relief: control by the same person or persons
  • CTM03740 · Corporation Tax: small profits relief: associated companies - attribution of rights and powers of nominees
  • CTM03750 · Corporation Tax: small profits rate: attribution to a person of rights and powers of associates - commercial interdependence with companies controlled by associates: accounting periods ending on or after 1 April 2011
  • CTM03755 · Corporation Tax: small profits relief: attribution of rights and powers of associates - guidance applying to accounting periods ending before 1 April 2011
  • CTM03760 · Corporation Tax: small profits relief: ESC C9
  • CTM03765 · Corporation Tax: small profits relief: ESC C9 - full text
  • CTM03770 · Corporation Tax: small profits relief: substantial commercial interdependence
  • CTM03805 · Corporation Tax: small profits relief: association through a loan creditor
  • CTM03810 · Corporation Tax: small profits relief: association by holding fixed rate preference shares
  • CTM03830 · Corporation Tax: small companies: association through a trustee
  • CTM03850 · Corporation Tax: small profits relief: risk assessment
  1. Corporation Tax: small profits relief: financial years up to and including 2014:contents
  2. Corporation Tax: small profits relief: association by holding fixed rate preference shares

CTM03810 | Corporation Tax: small profits relief: association by holding fixed rate preference shares

From HM Revenue & Customs · Company Taxation Manual

Certain financial institutions, notably the venture capital funds that seek to support smaller developing companies, may provide finance by taking up preference shares rather than by making loans. In some cases the degree of share ownership is sufficient to give the investor company control under CTA10/S450 (3)(a) or (b).

CTA10/S28 (formerly ESCC9) applies in such circumstances to determine whether:

  • the investor and target companies are associated, or

  • companies under the common control of the investor company are associated with each other.

Fixed rate preference shares are disregarded for the purpose of determining control in this context if the company holding them meets all the following conditions:

  • it is not a close company

  • it takes no part in the management or conduct of the issuing company or in the management or conduct of its business, and

  • it subscribed for the shares in the ordinary course of a business which includes the provision of finance.

Fixed-rate preference shares for this purpose are defined as shares which:

  • were issued wholly for new consideration

  • do not carry any right either to conversion into shares or securities of any other description or to the acquisition of any additional shares or securities, and

  • do not carry any right to dividends other than dividends which:

    • are of a fixed amount or at a fixed rate per cent of the nominal value of the shares, and

    • together with any sum paid on redemption, represent no more than a reasonable commercial return on the consideration for which the shares were issued.

    For the meaning of 'control' see CTM60220

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