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Official guidance
Company Taxation Manual

CTM97600 · Corporation Tax self assessment: group relief: simplified arrangements

  • CTM97610 · CTSA: group relief: simplified arrangements: time limits for claims
  • CTM97650 · CTSA: group relief: simplified arrangements: general
  • CTM97660 · CTSA: group relief: simplified arrangements: authorised company
  • CTM97670 · CTSA: group relief: simplified arrangements: authorising company
  • CTM97680 · CTSA: group relief: simplified arrangements: members of the same group
  • CTM97690 · CTSA: group relief: simplified arrangements: application to set up an arrangement
  • CTM97700 · CTSA: group relief: simplified arrangements: application to join an existing arrangement
  • CTM97710 · CTSA: group relief: simplified arrangements: written statement of claims and surrenders
  • CTM97730 · CTSA: group relief: simplified arrangements: time limit for decision on an application
  • CTM97740 · CTSA: group relief: simplified arrangements: refusal of an application
  • CTM97750 · CTSA: group relief: simplified arrangements: partial acceptance of an application
  • CTM97760 · CTSA: group relief: simplified arrangements: termination of arrangement and exclusion of a company from arrangement
  • CTM97770 · CTSA: group relief: simplified arrangements: making and withdrawing claims to group relief and amending returns
  • CTM97780 · CTSA: group relief: simplified arrangements: special rules for consortium members
  • CTM97790 · CTSA: group relief: simplified arrangements: change in members of a consortium
  1. Corporation Tax self assessment: group relief: simplified arrangements: contents
  2. CTSA: group relief: simplified arrangements: partial acceptance of an application

CTM97750 | CTSA: group relief: simplified arrangements: partial acceptance of an application

From HM Revenue & Customs · Company Taxation Manual

Regulation 9 SI1999/2975

Sometimes, rather than refusing an application to enter into a simplified arrangement (CTM97740), it will be more appropriate to accept it but only in part. Regulation 9 allows you to exclude a particular company from an arrangement where:

  • it is not part of the group (CTM97680),

  • it has failed to comply with its obligations under the Corporation Tax Acts, or

  • it is a company in relation to which a person is acting as an insolvency practitioner.

For this purpose an insolvency practitioner means a liquidator, provisional liquidator, administrator, administrative receiver or a supervisor of a voluntary arrangement under Part I of the Insolvency Act 1986. This reflects our view that the appointment of an insolvency practitioner causes the previous owners of a company to lose control of it, breaking the group relationship.

(This content has been withheld because of exemptions in the Freedom of Information Act 2000)

For excluding a company from a simplified arrangement following a change of circumstances see CTM97760.

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