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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: repayment of preference shares

CTM15430 | Distributions: general: repayment of preference shares

From HM Revenue & Customs · Company Taxation Manual

CTA10/S1023 (3), (4) and (5)

The repayment of certain preference shares is not a repayment of share capital for the purposes of CTA10/S1022.

Preference shares are shares which:

  • do not carry any right to dividends other than dividends at a fixed percentage of the nominal value of the shares, and

  • carry rights in respect of dividends and capital that are comparable with those general for quoted fixed dividend shares.

CTA10/S1022 does not apply to the repayment of fully paid preference shares, if the preference shares

  • were in issue at 6 April 1965, and continued to be fully paid preference shares from that date until their repayment, or

  • were issued since 6 April 1965 as fully paid shares wholly for new consideration that was not derived from ordinary shares, and continued to be fully paid preference shares until repayment.

Consideration ‘derived from ordinary shares’ is consideration consisting of

  • the surrender, transfer or cancellation of ordinary shares of any company, or

  • the variation of rights in ordinary shares of any company, or

  • value derived from a repayment of share capital paid in respect of ordinary shares of any company.

For the purposes of CTA10/S1022, ordinary shares are shares other than preference shares.

Non-redeemable shares, CTA10/S1023 (1) and (2)

The issue of certain non-redeemable shares is not a bonus issue for the purposes of CTA10/S1022.

CTA10/S1022 does not apply if the bonus issue:

  • is of shares other than redeemable shares, and

  • occurs more than ten years after the repayment of share capital.

This does not apply to a company within CTA10/S739 (broadly an unquoted or closely controlled company).

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