CFM45040 | Deemed loan relationships: shares with guaranteed returns: main sections of legislation
From HM Revenue & Customs · Corporate Finance Manual
Overview of legislation: two types of scheme
This guidance applies to companies that hold shares up to 21 April 2009
Shares subject to outstanding third party obligations
CTA09/S524 to S525 deal with cases where shares are subject to ‘outstanding third party obligations’, and the shares are an ‘interest-like investment’. This is a narrowly targeted measure that deals with scheme 1 set out at CFM45020. This legislation was originally at FA96/S91A.
Non-qualifying shares
CTA09/S526 to S533 deals with certain other cases where a share (or a share and one or more associated transactions) gives rise to an interest-like return. This legislation was originally at FA96/S91B. It applies to a share:
which is a ‘non-qualifying share’ (CFM45110),
which is not within CTA09/S490 (holdings in unit trusts, OEICS and offshore funds which fall to be treated as rights under a creditor loan relationship), and
to which, at no time during the times when the above conditions apply, (or for accounting periods ending before 22 March 2006, in the accounting period) does CTA09/S524 apply in relation to the investing company.
CTA09/S526 provides that a share is a ‘non-qualifying share’ if:
CTA09/S130 does not apply to distributions in respect of the share (because if that were the case, any dividends and increases in value would be taxed as part of a financial trade), and
one or more of the following three conditions is satisfied.
S527 the increasing value condition: this condition requires that the assets of the issuing company are of such a nature that the fair value of the share is likely to increase in an interest-like manner. This would cover scheme 2 outlined at CFM45020 above, and other similar schemes.
S529 the redemption return condition: this condition requires that the share is redeemable, and is designed to produce an interest-like return. This would cover preference share lending or investment schemes.
S532 the associated transactions condition: this condition requires that there is a scheme or arrangement under which the share and one or more associated transactions are together designed to produce an interest-like return. This will cover more complex schemes where the share itself does not give an interest-like return, but is packaged with, say, a derivative contract such that the combined effect is to give an interest-like scheme. In some ways, these schemes are similar in effect to the guaranteed return schemes to which (in periods of account beginning before 1 January 2005) FA02/SCH26/PARA6 applied.