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Contents

Official guidance
Corporate Finance Manual

CFM56000 · Derivative contracts: tax avoidance

  • CFM56005 · Overview of anti-avoidance rules
  • CFM56010 · Unallowable purposes: overview
  • CFM56020 · Taxing derivative contracts: tax avoidance: meaning of ‘unallowable purpose’
  • CFM56030 · Unallowable purposes: allowance of accumulated net losses
  • CFM56040 · Allowance of accumulated net losses: examples
  • CFM56050 · Transfer pricing and derivative contracts
  • CFM56060 · Exchange gains and losses where Sch 28AA applies
  • CFM56070 · Transfers of value to connected companies
  • CFM56080 · Transfers of value to connected companies: example
  • CFM56090 · Derivative contracts with non-residents
  • CFM56100 · Consideration not fully recognised by accounting practice
  • CFM56110 · Amounts not fully recognised for accounting purposes
  • CFM56112 · Amounts not fully recognised for accounting purposes: conditions A to C
  • CFM56114 · Amounts not fully recognised for accounting purposes: periods beginning on or after 6 December 2010
  • CFM56116 · Amounts not fully recognised for accounting purposes: no debits for derecognition
  • CFM56118 · Amounts not fully recognised for accounting purposes: commencement
  1. Derivative contracts: tax avoidance: Contents
  2. Derivative contracts: tax avoidance: overview of anti-avoidance rules

CFM56005 | Derivative contracts: tax avoidance: overview of anti-avoidance rules

From HM Revenue & Customs · Corporate Finance Manual

CFM56000+ follows the Tax Avoidance chapter at CTA09/PT7/CH11 and therefore contains guidance on rules about:

  • Unallowable purposes (CFM56010);

  • Interaction with transfer pricing rules (CFM56050);

  • Transfers of value to connected companies (CFM56070);

  • Transactions with non-UK residents (CFM56090);

  • Regime anti-avoidance rule (RAAR) (CFM56200);

Apart from these rules there are a number of other rules intended to address potential avoidance:

  • Anti-avoidance provisions within the group continuity rules (CFM53100+);

  • Group mismatch scheme rules (CFM77500+).

  • It also deals with guidance on amounts not fully recognised for accounting purposes (CTA09/S599A and S599B as well as S698A) (CFM56110).

Note that guidance on anti-avoidance provisions to do with forex is at CFM63000+ and loan relationships is at CFM38000+.

The following have been repealed:

  • Disposals for consideration not fully recognition by accounting practice (CFM56100).

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