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Official guidance
Company Taxation Manual

CTM80500 · Consortia: group relief

  • CTM80502 · Introduction
  • CTM80510 · Application of rules
  • CTM80515 · Claims
  • CTM80520 · Claims: consent to be given
  • CTM80525 · Claims: rules limiting
  • CTM80530 · Meaning of ‘members of the consortium’ and ‘company owned by a consortium’
  • CTM80535 · 90% subsidiary
  • CTM80540 · Amount of relief: claimant is a member of the consortium: claims based on consortium condition 1
  • CTM80545 · Amount of relief: claimant is company owned by a consortium: claims based on consortium condition 1
  • CTM80550 · Extension to companies in same group as member of the consortium
  • CTM80555 · Claim by company in same group as member of the consortium: claims based on consortium condition 2
  • CTM80560 · Surrender by company in same group as member of the consortium: consortium condition 3
  • CTM80570 · Items eligible for relief: potential restriction on surrender of trading losses
  • CTM80580 · Group and consortium claims both possible: surrendering company is both owned by a consortium and a member of a group
  • CTM80585 · Group and consortium claims both possible: claimant company is both owned by a consortium and a member of a group
  • CTM80587 · Control arrangements: claimant is member of the consortium
  • CTM80588 · Control arrangements: claimant is company owned by the consortium
  • CTM80590 · Diagram showing meaning of various terms
  • CTM80600 · Arrangements to transfer the company owned by a consortium to another group or consortium
  • CTM80605 · Arrangements: disqualifying relief
  • CTM80615 · Arrangements: definitions
  • CTM80620 · Enabling arrangements
  • CTM80625 · Direct arrangements
  • CTM80630 · Date of arrangements
  • CTM80635 · Information about arrangements
  • CTM80640 · SP3/93 and ESC C10
  • CTM80670 · Example: consortium relief generally
  • CTM80675 · Example: surrender by member of the consortium and by a member of its group, overlapping periods and company joining link company’s group
  • CTM80680 · Example: claim by company owned by a consortium from a company in the same group as a member of the consortium
  • CTM80685 · Example: restriction where group claims possible
  • CTM80690 · Example: restriction where group claims are possible by companies which are not owned by the consortium
  • CTM80695 · Example: restriction where group claims are possible
  • CTM80696 · Example: restriction of surrender of trade losses where company owned by consortium has other profits
  1. Consortia: group relief: contents
  2. Consortia: group relief: Control arrangements: claimant is company owned by the consortium

CTM80588 | Consortia: group relief: Control arrangements: claimant is company owned by the consortium

From HM Revenue & Customs · Company Taxation Manual

CTA10/S146B

This is an anti-avoidance rule introduced that applies to claims for accounting periods beginning on or after 12 July 2010, which aims to prevent a member of a consortium joining a consortium merely to sell its, or its fellow group company’s losses.

CTA10/S146B applies where:

  • the claim has been made by a company owned by a consortium from a member of the consortium (consortium condition 1) or by a company owned by a consortium from a company in the same group as a member of the consortium (consortium condition 3), and,

  • arrangements are in place for any part of the period when the loss arose which enable a person to prevent the claimant company or link company, either alone or together with one or more other companies that are also members of the consortium, from controlling the claimant company, and,

  • were it not for S146B the claimant company or link company, alone or together with one or more other companies that are also members of the consortium would control the claimant company, and

  • the arrangements form part of a scheme the main purpose, or one of the main purposes, of which is to enable the claimant company to obtain a tax advantage (defined at CTA10/S1139) under CTA10/Part 5/Chapter 4.

In these circumstances, CTA10/S146B(4) reduces the group relief to be given on the claim to 50% of what it would be but for this section. This reduction should be carried out once the total profits for the overlapping period have been determined by reference to CTA10/S140(2).

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