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Contents

Official guidance
Company Taxation Manual

CTM61000 · Close companies: capital payments to settlors

  • CTM61050 · Introduction
  • CTM61060 · Interposition between settlor and trustee
  • CTM61070 · Assessable as income
  • CTM61080 · Loans or repayment of a loan
  • CTM61090 · Temporary loans
  • CTM61100 · Loans paid directly or indirectly
  • CTM61120 · Associated payments
  • CTM61130 · Interaction with CTA2010/S455 & CTA2010/S463
  • CTM61150 · Available income
  1. Close companies: capital payments to settlors: contents
  2. Close companies: capital payments to settlors: loans paid directly or indirectly

CTM61100 | Close companies: capital payments to settlors: loans paid directly or indirectly

From HM Revenue & Customs · Company Taxation Manual

Loans that are ready for repayment can be assigned for full consideration to third parties prior to repayment. ITTOIA/S634 (5) blocks this avoidance route by providing that sums paid to such parties by virtue of assignments are within Section 677.

ITTOIA/S634 (7) closes another avoidance route by requiring that payments by trustees or connected close companies into joint accounts in the names of the settlor (or his or her spouse) and another person should be included in sums paid directly or indirectly to the settlor or spouse.

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