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Contents

Official guidance
Corporate Finance Manual

CFM44000 · Deemed loan relationships: alternative finance

  • CFM44010 · Overview
  • CFM44020 · Types of arrangement
  • CFM44030 · 'financial institution'
  • CFM44035 · Regulated electronic system facilitated arrangements and home purchase plan providers
  • CFM44040 · Treatment as loan relationships
  • CFM44050 · Purchase and resale arrangements
  • CFM44060 · Purchase and resale arrangements: tax treatment
  • CFM44070 · Diminishing shared ownership arrangements
  • CFM44080 · Diminishing shared ownership arrangements: tax treatment
  • CFM44090 · Deposit arrangements
  • CFM44100 · Profit share agency arrangements
  • CFM44110 · Example of profit share agency arrangements
  • CFM44120 · Investment bond arrangements
  • CFM44130 · Investment bond arrangements: example
  • CFM44140 · Investment bond arrangements: conditions
  • CFM44150 · Investment bond arrangements: conditions: bond assets
  • CFM44160 · Investment bond arrangements: conditions: payments to bond-holders
  • CFM44170 · Investment bond arrangements: conditions: convertible arrangements
  • CFM44180 · Investment bond arrangements: conditions: discounts
  • CFM44190 · Investment bond arrangements: conditions: exclusion of ‘profit-sharing’ arrangements
  • CFM44200 · Investment bond arrangements: conditions: reasonable commercial return
  • CFM44210 · Investment bond arrangements: conditions: accounting test
  • CFM44220 · Investment bond arrangements: conditions: listing on a recognised stock exchange
  • CFM44230 · Investment bond arrangements: tax treatment
  • CFM44240 · Investment bond arrangements: tax treatment of ‘bond assets’
  • CFM44250 · Investment bond arrangements: tax treatment of ‘bond assets’ as securities
  • CFM44260 · Investment bond arrangements: ‘asset-backed’ securitisation arrangements
  • CFM44270 · Transitional rules
  • CFM44280 · Other tax rules: treatment of non-residents
  • CFM44290 · Other tax rules: capital allowances and capital gains
  • CFM44300 · Other tax rules: distributions
  • CFM44310 · Other tax rules: deduction of tax
  • CFM44320 · Transfer pricing
  • CFM44330 · Beneficial loans for employees
  1. Deemed loan relationships: alternative finance: Contents
  2. Deemed loan relationships: alternative finance: beneficial loans for employees

CFM44330 | Deemed loan relationships: alternative finance: beneficial loans for employees

From HM Revenue & Customs · Corporate Finance Manual

Alternative finance arrangements and beneficial loans

Existing legislation provides that a taxable benefit arises when a loan, made by an employer to an employee, carries a rate of interest below the commercial rate of interest - see EIM26101. This is known as a ‘cheap’ loan. The difference between the amount of interest actually paid, and the amount of interest that would be payable at the official rate, represents the taxable benefit and is charged to tax: ITEPA03/S175.

Where the ‘cheap’ loan between the employer and employee is structured by way of a purchase and resale arrangement (CFM44050) or a diminishing shared ownership arrangement (CFM44070), which has the same effect as a conventional low-interest loan, that arrangement will also give rise to a taxable benefit and be charged to tax. This is achieved by deeming a reference to ‘loans’ within the beneficial loans legislation to include an alternative finance arrangement. A reference to ‘interest’ in that legislation includes a reference to an alternative finance return: ITEPA03/S173A. The employer does not need to be a financial institution to offer a benefit equivalent to a cheap loan using a purchase and resale arrangement or a diminishing shared ownership arrangement.

The tax treatment applies to all arrangements entered into on or after 22 March 2006 where an employer offers an employee financing through a purchase and resale arrangement or a diminished share ownership arrangement. For further details of how the beneficial loans legislation applies see EIM26101 onwards.

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