CTM61670 | Close companies: loans to participators: termination of a trust
From HM Revenue & Customs · Company Taxation Manual
In cases where a loan or advance assessable under CTA10/S455 (CTM61510) was made to trustees and the trust comes to an end before the company releases or writes off the loan etc, take the action below:
The instruction at CTM61655 should be applied to the person from whom the loan or advance is due at the time of the release or writing-off.
Officers should also report the following information to RIS Referrals, available via RIS A to Z:
The full names and addresses of the trustees to whom the loan or advance was made and the date the trust came to an end
Any information you hold about the trust
The full name and address of the person from whom the loan or advance was due at the date it was released or written off
The date the loan etc was released or written off and the amount released or written off
The name of the company which made the loan or advance