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Official guidance
Corporate Finance Manual

CFM45000 · Deemed loan relationships: shares with guaranteed returns (‘shares as debt’)

  • CFM45010 · Deemed loan relationships: shares with guaranteed returns: introduction
  • CFM45020 · Deemed loan relationships: shares with guaranteed returns: examples of avoidance schemes
  • CFM45030 · Deemed loan relationships: shares with guaranteed returns: outline of legislation
  • CFM45040 · Deemed loan relationships: shares with guaranteed returns: main sections of legislation
  • CFM45050 · Deemed loan relationships: shares with guaranteed returns: outstanding third party obligations
  • CFM45060 · Deemed loan relationships: shares with guaranteed returns: outstanding third party obligations: debits and credits
  • CFM45070 · Deemed loan relationships: shares with guaranteed returns: outstanding third party obligations: meaning of outstanding third party obligations
  • CFM45080 · Deemed loan relationships: shares with guaranteed returns: outstanding third party obligations: meaning of interest like investment
  • CFM45090 · Deemed loan relationships: shares with guaranteed returns: outstanding third party obligations: comparison with commercial rate of interest
  • CFM45100 · Deemed loan relationships: shares with guaranteed returns: outstanding third party obligations: repos and stock loans
  • CFM45110 · Deemed loan relationships: shares with guaranteed returns: non-qualifying shares
  • CFM45120 · Deemed loan relationships: shares with guaranteed returns: non-qualifying shares: debits and credits
  • CFM45130 · Deemed loan relationships: shares with guaranteed returns: non-qualifying shares: meaning of non-qualifying shares
  • CFM45140 · Deemed loan relationships: shares with guaranteed returns: non-qualifying shares: repos and stock loans
  • CFM45150 · Deemed loan relationships: shares with guaranteed returns: non-qualifying shares: the ‘increasing value condition’
  • CFM45160 · Deemed loan relationships: shares with guaranteed returns: non-qualifying shares: definition of income producing assets
  • CFM45170 · Deemed loan relationships: shares with guaranteed returns: non-qualifying shares: the income producing assets test
  • CFM45180 · Deemed loan relationships: shares with guaranteed returns: non-qualifying shares: the income producing assets test: groups
  • CFM45190 · Deemed loan relationships: shares with guaranteed returns: non-qualifying shares: application of the increasing value condition
  • CFM45200 · Deemed loan relationships: shares with guaranteed returns: non-qualifying shares: the redemption return condition
  • CFM45210 · Deemed loan relationships: shares with guaranteed returns: non-qualifying shares: the redemption return condition: meaning of excepted share
  • CFM45220 · Deemed loan relationships: shares with guaranteed returns: non-qualifying shares: the redemption return condition: meaning of qualifying publicly issued shares
  • CFM45230 · Deemed loan relationships: shares with guaranteed returns: non-qualifying shares: the redemption return condition: mirroring a public issue of shares
  • CFM45240 · Deemed loan relationships: shares with guaranteed returns: non-qualifying shares: the redemption return condition: unallowable purposes test
  • CFM45250 · Deemed loan relationships: shares with guaranteed returns: non-qualifying shares: the associated transactions condition
  • CFM45260 · Deemed loan relationships: shares with guaranteed returns: non-qualifying shares: the associated transactions condition: meaning of associated transaction
  • CFM45270 · Deemed loan relationships: shares with guaranteed returns: beginning or ceasing to be within the rules
  • CFM45280 · Deemed loan relationships: shares with guaranteed returns: shares changing ownership in a group
  • CFM45290 · Deemed loan relationships: shares with guaranteed returns: 16 March 2005 transitional rules
  • CFM45300 · Deemed loan relationships: shares with guaranteed returns: schemes unwound by 31 December 2005
  • CFM45310 · Deemed loan relationships: shares with guaranteed returns: meaning of commercial rate of interest
  • CFM45320 · Deemed loan relationships: shares with guaranteed returns: meaning of commercial rate of interest: simple commercial rate
  • CFM45330 · Deemed loan relationships: shares with guaranteed returns: interaction with arbitrage rules and capital gains
  1. Deemed loan relationships: shares with guaranteed returns (‘shares as debt’): contents
  2. Deemed loan relationships: shares with guaranteed returns: main sections of legislation

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

The legislation is now in CTA09/PT6/CH7, at sections 522 to 535.

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.

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