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Contents

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: outstanding third party obligations: meaning of interest like investment

CFM45080 | Deemed loan relationships: shares with guaranteed returns: outstanding third party obligations: meaning of interest like investment

From HM Revenue & Customs · Corporate Finance Manual

Interest-like investment

This guidance applies to companies that hold shares up to 21 April 2009

CTA09/S525 defines what ‘interest-like investment’ means in relation to a share.

Commercial rate of interest

It means a share whose nature is such that its fair value:

  • is likely to increase at a rate which represents a return on an investment of money at a commercial rate of interest (see CFM45090), and

  • is unlikely to deviate to a substantial extent from that rate of increase.

In determining whether the rate has deviated to a substantial extent, fluctuations arising from changes in exchange rates are to be left out of account.

For all times on or after 12 March 2008 fluctuations arising from changes in exchange rates are also left out of account when considering whether the fair value of the share is likely to increase at a rate which represents a commercial rate of interest.

Assumptions

For the purposes of determining whether the fair value of the share is likely to increase at a commercial rate of interest, it is to be assumed that:

  • any third party obligations will be met in the amounts, and at the time, at which they are due, and

  • for all times before 12 March 2008, that no transaction (or series of transactions) intended to prevent the share being an interest-like investment will be entered into, or,

  • for all times on or after 12 March 2008, that no transaction (or series of transactions) intended to prevent the share being an interest-like investment will be, or has been, entered into. Where the falsifying transaction was entered into before 12 March 2008 it may still be taken into account in determining whether on 12 March 2008 the share becomes one to which CTA09/S524 applies.

The second and third assumptions above are designed to prevent companies earning an interest-like return on a share using outstanding third party obligations, but either:

  • extracting some of that return in an artificial way which results in the share itself not increasing in value at a commercial rate of interest or substantially deviating from that rate, or

  • inserting some artificial contingency into the arrangements which if it was met would mean the share would not give an interest-like return.

Note there has to be a transaction and an intention for the transaction to achieve that effect, which pre-supposes that the share would otherwise meet the conditions of S524. If absent such a transaction a share would not give an interest-like return, S525(4)(b) cannot bring the share within the section.

But where such a transaction is entered into, no debit resulting from it is to be brought into account - see S523(3).

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