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Official guidance
Company Taxation Manual

CTM80100 · Groups & consortia: group relief

  • CTM80105 · Groups: group relief: structural outline
  • CTM80110 · Groups: group relief: what can be transferred between group members?
  • CTM80115 · Groups: group relief: meaning of trading loss
  • CTM80120 · Groups: group relief: meaning of excess capital allowances
  • CTM80125 · Groups: group relief: meaning of deficits on non-trading loan relationships
  • CTM80130 · Groups: group relief: meaning of qualifying charitable donations
  • CTM80135 · Groups: group relief: meaning of UK property business loss
  • CTM80140 · Groups: group relief: meaning of excess management expenses
  • CTM80141 · Groups: group relief: meaning of non-trading losses on intangible fixed assets
  • CTM80142 · Groups: group relief: special rules that apply to “relevant amounts”
  • CTM80143 · Groups: group relief: order of relief for amounts which can be surrendered
  • CTM80145 · Groups: group relief: claims for relief
  • CTM80150 · Groups: group relief: which companies may claim and surrender group relief?
  • CTM80151 · Groups: group Relief: the group relationship
  • CTM80152 · Groups: group relief: group relief and partnerships
  • CTM80155 · Groups: group relief: shareholding rule plus the entitlement to profits/assets tests
  • CTM80160 · Groups: group relief: applying the entitlement to profits/assets tests
  • CTM80165 · Groups: group relief: overview of the arrangements rules
  • CTM80170 · Groups: group relief: arrangements, effect 1
  • CTM80175 · Groups: group relief: arrangements, effect 2
  • CTM80180 · Groups: group relief: arrangements, effect 3
  • CTM80181 · Groups: group relief: exclusion of certain arrangements
  • CTM80185 · Groups: group relief: enabling arrangements
  • CTM80190 · Groups: group relief: direct arrangements
  • CTM80195 · Groups: group relief: date of arrangements
  • CTM80196 · Groups: group relief: contingent arrangements
  • CTM80205 · Groups: group relief: HMRC’s approach to “arrangements” - SP3/93 and ESC C10
  • CTM80206 · Groups: group relief: examples of arrangements
  • CTM80210 · Groups: group relief: non coinciding accounting periods or group relationships - overview
  • CTM80215 · Groups: group relief: non coinciding accounting periods or group relationships - multiple claims
  • CTM80220 · Groups: group relief: non coinciding accounting periods or group relationships - the order which claims are dealt with
  • CTM80225 · Groups: group relief: non coinciding accounting periods or group relationships - overlapping period
  • CTM80230 · Groups: group relief: non coinciding accounting periods or group relationships - unused part of the surrenderable amounts
  • CTM80235 · Groups: group relief: Non coinciding accounting periods or group relationships - unrelieved part of claimant company’s available total profits
  • CTM80240 · Groups: group relief: non coinciding accounting periods or group relationships - amount of any prior surrenders attributable thereto
  • CTM80245 · Groups: group relief: non coinciding accounting periods or group relationships - amount of any previous claims attributable thereto
  • CTM80255 · Groups: group relief: non coinciding accounting periods or group relationships - example
  • CTM80260 · Groups: group relief: non coinciding accounting periods or group relationships – time apportionment is not the only permitted method
  • CTM80265 · Groups: group relief: non coinciding accounting periods or group relationships - use of management accounts
  • CTM80270 · Groups: group relief: non coinciding accounting periods or group relationships - apportioned amount not to exceed total loss
  • CTM80300 · Groups: group relief: the international aspect - overview
  • CTM80305 · Groups: group relief: the international aspect -permanent establishments
  • CTM80310 · Groups: group relief: UK permanent establishment of non-resident company
  • CTM80315 · Groups: group relief: UK permanent establishment of non-resident company - tax relief in a foreign jurisdiction
  • CTM80320 · Groups: group relief: meaning of non-UK profits
  • CTM80325 · Groups: group relief: meaning of non-UK tax
  • CTM80330 · Groups: group relief: UK permanent establishment of non-resident company - tax relief in a foreign jurisdiction - credit and exemption countries
  • CTM80332 · Groups: group relief: UK permanent establishment of non-resident company – determining tax relief in a foreign jurisdiction for an EEA resident company: 1 April 2013 to 26 October 2021
  • CTM80333 · Groups: group relief: UK permanent establishment of non-resident company – determining amount available for surrender in the UK for an EEA resident company: 1 April 2013 to 26 October 2021
  • CTM80335 · Groups: group relief: UK permanent establishment of non-resident company - clawing back group relief for losses relieved in foreign jurisdiction for an EEA resident company: 1 April 2013 to 26 October 2021
  • CTM80340 · Groups: group relief: UK permanent establishment of non-resident company - losses exempted by double taxation agreements
  • CTM80345 · Groups: group relief: UK permanent establishment of non-resident company - amounts which can be surrendered
  • CTM80350 · Groups: group relief: overseas permanent establishment of UK resident company
  • CTM80355 · Groups: group relief: overseas permanent establishment of UK resident company - meaning of attributable to overseas permanent establishment
  • CTM80360 · Groups: group relief: overseas permanent establishment of UK resident company - meaning of non-UK tax relief
  • CTM80365 · Groups: group relief: overseas permanent establishment of UK resident company - foreign ‘tie-breaker’ rules
  • CTM80370 · Groups: group relief: the international aspect - accounting period straddling 1 April 2000
  • CTM80400 · Groups: group relief : available total profits
  • CTM80405 · Groups: group relief: exclusion of double allowances
  • CTM80410 · Groups: group relief: cases of difficulty
  • CTM80415 · Groups: group relief: avoidance
  • CTM80435 · Groups: group relief: example - surrender of trading losses
  • CTM80440 · Groups: group relief: example - surrender of excess capital allowances
  • CTM80445 · Groups: group relief: example - surrender of excess management expenses
  • CTM80450 · Groups: group relief: example - surrender of excess qualifying charitable donations
  • CTM80136 · Groups: group relief: Schedule A losses - transitional provisions
  • CTM80200 · Groups: group relief: information about arrangements
  • CTM80250 · Groups: group relief: non-coinciding accounting periods or group relationships - periods straddling 2 July 1997
  1. Groups & consortia: group relief: Contents
  2. Groups: group relief: example - surrender of trading losses

CTM80435 | Groups: group relief: example - surrender of trading losses

From HM Revenue & Customs · Company Taxation Manual

Company D and Company E both have accounting periods of 12 months to 31 December 2011. Company D is a 75% subsidiary of Company E for all of that period.

The accounts and computations of the companies for the 12 months to 31 December 2011 show the following.

DescriptionAmount
Company D-
Trading profits£3,000
Less losses brought forward (CTA10/S45)(£1,500)
CT trading income£1,500
Income from special leasing£500
Capital allowances in respect of special leasing(£800)
Non-trading loan relationship deficit(£600)
Company E-
Trading loss(£1,000)
Profits & gains from non-trading loan relationships£300

Company E claims relief in respect of its trading loss under CTA10/S37.

Company D claims relief in respect of its excess capital allowances under CAA01/S260(3). It also claims, with the consent of Company E, the maximum amount of group relief that Company E can surrender (CTA10/S100).

The CT computations for the accounting period to 31 December 2011 are as follows.

DescriptionAmountAmount
Company D--
Trading income-£1,500
Special leasing income (£500 less CAs £500)-Nil
Excess capital allowances(£300)-
Non-trading loan relationship deficit(£600)-
Group relief claimed(£600)(£1,500)
CT profits-Nil
Company E--
Trading income-Nil
Profits & gains from non-trading loan relationships-£300
Trading loss CTA10/S37-(£300)
CT Profits-Nil
Losses to carry forward--
Trading loss-£1,000
Less utilised CTA10/S37(£300)-
Surrendered via group relief(£600)(£900)
Loss to carry forward-£100

Company D may decide not to claim relief for excess capital allowances under CAA01/S260(3), and instead carry them forward under CAA01/S260(2). If so, the group relief would still be restricted to £600. This is because you have to take into account any relief available to the claimant company under CAA01/S260(3), whether it is claimed or not (CTM80400).

However if Company D’s trading profits were £4,000 instead of £3,000, Company E could have decided not to claim relief for itself of £300 of the trading loss generated in that year under CTA10/S37, and it would then have been able to surrender the whole of its trading loss, £1,000, as group relief. This is because for trade losses there is no requirement that only the excess over other profits can be surrendered (CTM80115).

It is important to remember that the surrendering company may choose to surrender its trading losses of the period in full (or in part) without off-set against its own profits, where conversely the claimant company must reduce its available total profits by any loss in trade in the same accounting period, regardless of whether it claims such an amount (CTM80400).

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