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Contents

Official guidance
Company Taxation Manual

CTM08700 · Corporation Tax: change of ownership: companies with investment business

  • CTM08710 · Introduction
  • CTM08720 · Conditions
  • CTM08750 · Significant increase in capital
  • CTM08770 · During an accounting period (S678)
  • CTM08780 · Excess over profits
  • CTM08800 · Apportionment of ‘amounts in issue’
  • CTM08850 · Restriction for accounting periods ending on or after 1 April 1996 (S677)
  • CTM08880 · Chargeable gain on disposal of asset acquired from another member of the group
  • CTM08900 · During an accounting period (S692)
  • CTM08910 · Apportionment between notional accounting periods
  • CTM08930 · Restriction for accounting periods ending on or after 1 April 1996 (S692)
  1. Corporation Tax: change of ownership: companies with investment business: contents
  2. Corporation Tax: change of ownership: companies with investment business: during an accounting period (S678)

CTM08770 | Corporation Tax: change of ownership: companies with investment business: during an accounting period (S678)

From HM Revenue & Customs · Company Taxation Manual

CTA10/S678 (2)

For the purposes of CTA10/S677 where the change in ownership occurs during an accounting period (AP), that period is divided into two parts, the first of which ends with the change.

The parts are treated as separate notional APs for the purposes of calculating any restriction.

It is necessary to apportion the amounts in issue between the notional APs to and from the date of change of ownership in order to establish whether there is any excess of management expenses, charges, interest, loan relationship debits or, for changes in ownership on or after 10 February 2005, non trading loan relationship deficits, to which a S677 restriction applies (CTM08780).

The rules for this apportionment are covered at CTM08800 onwards.

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