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Contents

Official guidance
Company Taxation Manual

CTM15100 · Distributions: general

  • CTM15120 · Introduction
  • CTM15130 · Explanation of terms
  • CTM15140 · New consideration
  • CTM15150 · Tax consequences
  • CTM15200 · Dividends and tax law
  • CTM15205 · Dividends, distributions and company law
  • CTM15210 · Preference share lending
  • CTM15250 · Transfer of assets and liabilities by/to members
  • CTM15260 · Issue of shares at par
  • CTM15270 · Dividend waivers and application of the settlements legislation
  • CTM15280 · Transfers not at market value - other tax implications
  • CTM15290 · Transfers not at market value - to member who is an employee/director
  • CTM15295 · Inadvertent distribution
  • CTM15300 · Disapplication of the distribution provisions
  • CTM15310 · Transfers between companies within the charge to CT
  • CTM15330 · Valuations
  • CTM15340 · LEAs, LECs & TECs
  • CTM15350 · Out of assets in respect of shares
  • CTM15400 · Repayment of share capital - bonus issues
  • CTM15410 · Repayment of share capital - bonus issues - exceptions
  • CTM15420 · Repayment of share capital - bonus issues - after repayment
  • CTM15430 · Repayment of preference shares
  • CTM15440 · Repayment of share capital: share capital/share premium reduction
  • CTM15450 · Bonus issues of securities or redeemable shares
  • CTM15500 · Interest or other value in respect of securities - introduction
  • CTM15501 · Interest or other value in respect of securities - principal secured
  • CTM15502 · Interest or other value in respect of securities - reasonable commercial return
  • CTM15503 · Interest or other value in respect of securities - which reflects return on issuer's own shares or those of associated companies
  • CTM15504 · Interest or other value in respect of securities - hedging arrangements
  • CTM15505 · Interest or other value in respect of securities - reasonable commercial return - examples
  • CTM15515 · Securities within CTA10/S1000 (1) F
  • CTM15520 · Securities within CTA10/S1015(4)
  • CTM15525 · Ratchet loans
  • CTM15530 · Exclusion of certain interest or other amounts
  • CTM15540 · Unincorporated associations
  • CTM15550 · Companies not carrying on a business
  • CTM15560 · Reciprocal arrangements
  • CTM15570 · Notification of likely higher rate liability
  • CTM15580 · Distributions to EOTs
  1. Distributions: general: contents
  2. Distributions: general: transfers not at market value - other tax implications

CTM15280 | Distributions: general: transfers not at market value - other tax implications

From HM Revenue & Customs · Company Taxation Manual

If a company transfers an asset or liability at other than market value this may have tax implications quite apart from the distributions provisions.

For example, the disposal of trading stock other than in the course of trade is subject to the Petrotim Securities Ltd v Ayres (see BIM33610) principle. Another example is TIOPA10/PART4 that can apply to sales between associated persons.

A transaction between a company and a member that is to the member's advantage or benefit can result in both

  • a Corporation Tax (CT) liability on the company, and

  • a liability on the company and member in respect of the distribution.

This is consistent with the rule that:

  • a company pays CT on its profits with no deduction for distributions, and

  • the distribution carries its own tax consequences on the member.

As an example, a company worth £100,000 might transfer trading stock worth £10,000 to a member for £4,000. The company is then worth £94,000, and has effectively distributed £6,000 to the member. The Petrotim adjustment increases the company's profits by £6,000, which is the difference between the open market value of the stock and the price paid by the member. The distribution of £6,000, which is the value the member has withdrawn from the company, is caught by CTA10/S1000 (1) G.

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