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Contents

Official guidance
Corporate Finance Manual

CFM45400 · Deemed loan relationships: returns from partnerships

  • CFM45410 · Introduction
  • CFM45420 · Avoidance schemes: examples
  • CFM45430 · Main sections of legislation
  • CFM45440 · Conditions for CTA09/S536
  • CFM45450 · Definitions for CTA09/S536, S537 and S538
  • CFM45460 · Deemed loan relationships: anti-avoidance: returns from partnerships: effect of CTA09/S536
  1. Deemed loan relationships: returns from partnerships: contents
  2. Deemed loan relationships: returns from partnerships: main sections of legislation

CFM45430 | Deemed loan relationships: returns from partnerships: main sections of legislation

From HM Revenue & Customs · Corporate Finance Manual

Overview of legislation

This guidance applies to companies that have interests in partnerships up to 21 April 2009

CTA09/S537 deals with ‘relevant arrangements’ under which a company obtains a return by acquiring a partnership interest for an amount equal to its discounted future value. This is intended to deal with Scheme 1 as set out in CFM45420.

CTA09/S538 deals with schemes where companies invest money in the form of capital contributions, initially receiving a share of the partnership profits smaller than would be received by reference to that contribution but with a compensating greater entitlement to capital of that partnership later on. This is intended to deal with Scheme 2 as set out in CFM45420.

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