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Contents

Official guidance
Company Taxation Manual

CTM81000 · Groups & consortia: groups - entitlement to profits or assets available for distribution

  • CTM81005 · Introduction
  • CTM81010 · Definitions of terminology
  • CTM81015 · Convertible shares and securities
  • CTM81020 · Business results dependency test
  • CTM81025 · Equity holders - special rule
  • CTM81030 · Equity holders - banks
  • CTM81035 · Equity holders - subsidiary profits available to
  • CTM81040 · Equity holders - subsidiary assets available to
  • CTM81045 · Equity holders - percentage of profits available to
  • CTM81050 · Equity holders - notional winding-up
  • CTM81055 · Returned amounts
  • CTM81060 · Limited rights
  • CTM81065 · Effect of limitation of rights
  • CTM81070 · Varying rights for different accounting periods
  • CTM81075 · Varying rights for different accounting periods - effect
  • CTM81080 · Varying and limited rights - effect
  • CTM81085 · Entitlement different - effect
  • CTM81090 · Option arrangements
  • CTM81095 · Effective rights
  • CTM81100 · Option rights exist
  • CTM81105 · Option, limited & varying rights
  • CTM81110 · Option, limited & varying rights: referable to UK trade of non-resident company
  • CTM81115 · Option arrangements - Board's policy
  • CTM81120 · Examples - background
  • CTM81121 · Example 1 - basic rule
  • CTM81122 · Example 2 - limited rights
  • CTM81123 · Example 3 - varying rights for different accounting periods
  • CTM81124 · Example 4 - option rights
  1. Groups & consortia: groups - entitlement to profits or assets available for distribution: contents
  2. Groups & consortia: groups - entitlement to profits or assets available for distribution: entitlement different - effect

CTM81085 | Groups & consortia: groups - entitlement to profits or assets available for distribution: entitlement different - effect

From HM Revenue & Customs · Company Taxation Manual

CTA10/S171 applies where, in the relevant accounting period (CTM81005),

  • an equity holder holds, as such (CTM81010), any shares or securities, and

  • certain arrangements exist in respect of those shares or securities.These arrangements are confined to those that could vary the rights attaching to shares or securities. Following J Sainsbury Plc v O’Connor 64TC208 they do not include arrangements that could affect the ownership of shares.

    The arrangements within section 171 are those as a result of which an equity holder’s entitlement to profits or to assets in a winding-up could be different in the accounting period, or in any later accounting period, compared with what the entitlement would be if the arrangements did not come into effect.

    Under section 171 it is assumed that the effect would be given to the arrangements. The shares or securities are then treated as though any variation in the equity holder’s entitlement to profits or to assets in a winding-up was the result of the operation of varying rights (CTM81070 to CTM81080).

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