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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: valuations

CTM15330 | Distributions: general: valuations

From HM Revenue & Customs · Company Taxation Manual

Valuation Office will need to advise in cases where land in the UK, or an interest in such land, is transferred to or from a company, giving rise to a distribution. This is in addition to checking with Valuation Office that the disposal has occurred at market value for chargeable gains purposes, see CG74300 onwards.

Form CG20 applies only to CG valuation. For distributions, an informal valuation should be requested which must

  • identify the land involved,

  • make clear that the request is to quantify liability under the distributions provisions,

  • specify the date at which the valuation is needed,

  • identify the company and the member concerned,

  • specify the precise interest which needs to be valued,

  • give details (if available) of the date the transferor bought the land, and the cost price,

  • include a copy of any tenancy agreement or ‘licence to occupy’ in force immediately prior to the transfer to the member, bearing in mind CTM15250, and

  • detail the consideration paid by the member to the company for the transfer.

If the company or the member disputes the informal valuation, ask them to agree a negotiated valuation with the Valuation Office.

(This content has been withheld because of exemptions in the Freedom of Information Act 2000).

For assistance with the valuation of shares or other assets see CG16200C onwards.

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