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Official guidance
Company Taxation Manual

CTM97400 · Corporation Tax self assessment: group payment arrangements

  • CTM97405 · CTSA: group payment arrangements: introduction
  • CTM97410 · CTSA: group payment arrangements: administration
  • CTM97420 · CTSA: group payment arrangements: companies eligible
  • CTM97430 · CTSA: group payment arrangements: copy of the contract
  • CTM97440 · Corporation Tax self assessment: group payment arrangements: copy of the guidance notes
  • CTM97450 · CTSA: group payment arrangements: pre-acceptance checks
  • CTM97460 · CTSA: group payment arrangements: accounting periods & group payment periods
  • CTM97470 · CTSA: group payment arrangements: newly acquired company: example
  • CTM97480 · CTSA: group payment arrangements: short accounting period: example
  • CTM97490 · CTSA: group payment arrangements: payment of tax
  • CTM97500 · CTSA: group payment arrangements: closing date
  • CTM97510 · CTSA: group payment arrangements: overpayment
  • CTM97520 · CTSA: group payment arrangements: rolling forward
  • CTM97530 · CTSA: group payment arrangements: removal by agreement
  • CTM97540 · CTSA: group payment arrangements: removal by contract
  • CTM97550 · CTSA: group payment arrangements: participating companies list
  • CTM97560 · CTSA: group payment arrangements: apportion payments at closure
  • CTM97570 · CTSA: group payment arrangements: late filing penalties
  • CTM97580 · CTSA: group payment arrangements: termination: Clause 18
  • CTM97590 · CTSA: group payment arrangements: termination: Clause 19
  1. Corporation Tax self assessment: group payment arrangements: contents
  2. CTSA: group payment arrangements: companies eligible

CTM97420 | CTSA: group payment arrangements: companies eligible

From HM Revenue & Customs · Company Taxation Manual

The definition of ‘group’ for group payment arrangement purposes is broader than the normal group relationship required for a surrender of a repayment under CTA10/S963, or for group relief, for example. Companies eligible to enter into a group payment arrangement together are:

  • a parent company,

and

  • its 51% subsidiaries,

and

  • the 51% subsidiaries of those subsidiaries, and so on.

Note:

  • Companies covered by a group payment arrangement are ‘participating companies’.

  • The company chosen by the group to make payments on behalf of the participating companies is the ‘nominated company’.

The following criteria are also relevant when a group applies to enter into a group payment arrangement:

  • When a group makes an arrangement it must have grounds for believing that at least one of the participating companies will be a quarterly instalment payer for the period covered by the arrangement.

  • The nominated company must be resident in the UK. Note: This requirement does not apply to the other participating companies.

  • UK subsidiaries of overseas companies and UK branches of non-resident companies can come within an arrangement.

  • Companies qualify even though their 51% connection to the rest of the group is through an overseas parent.

  • Not all members of the group need be covered by the group payment arrangement.

  • A group may apply to set up more than one arrangement for different sub-sets of companies in the group.

  • Generally, the participating companies have to make up accounts to the same date as the nominated company.

A copy of the contract is at CTM97430.

A copy of the notes that accompany the contract is at CTM97440.

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