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Contents

Official guidance
Corporate Finance Manual

CFM72000 · Other tax rules on corporate finance: securitisation

  • CFM72010 · Background
  • CFM72020 · Background: basic terminology
  • CFM72030 · Background: true sale/asset-backed securitisation
  • CFM72040 · Background: true sale/asset-backed securitisation: example
  • CFM72050 · Background: master trust securitisation
  • CFM72060 · Background: master trust securitisation: example
  • CFM72070 · Background: whole business and other types of securitisation
  • CFM72080 · Background: synthetic securitisation: example
  • CFM72090 · Background: SPVs and other common features
  • CFM72100 · Periods beginning before 1 January 2005
  • CFM72110 · Periods beginning before 1 January 2005: general points
  • CFM72120 · Periods beginning before 1 January 2005: bad and doubtful debts
  • CFM72130 · Periods beginning before 1 January 2005: offshore SPVs
  • CFM72140 · Periods beginning before 1 January 2005: example
  • CFM72200 · Periods beginning on or after 1 January 2005: overview of the new rules
  • CFM72210 · Periods beginning on or after 1 January 2005: the interim regime
  • CFM72220 · Periods beginning on or after 1 January 2005: the interim regime: definitions
  • CFM72230 · Periods beginning on or after 1 January 2005: the interim regime: the note-issuing company
  • CFM72240 · Periods beginning on or after 1 January 2005: the interim regime: other types of securitisation company
  • CFM72250 · Periods beginning on or after 1 January 2005: the interim regime: application of former UK GAAP
  • CFM72260 · Periods beginning on or after 1 January 2005: the interim regime: continuation after 2008
  • CFM72270 · Periods beginning on or after 1 January 2005: the interim regime: continuation after 2008: transitional rules
  • CFM72300 · Periods beginning on or after 1 January 2007: the permanent regime
  • CFM72310 · Periods beginning on or after 1 January 2007: ‘alternative finance’ arrangements
  • CFM72320 · Periods beginning on or after 1 January 2007: the regulations
  • CFM72330 · Periods beginning on or after 1 January 2007: the regulations: commencement
  • CFM72340 · Periods beginning on or after 1 January 2007: the regulations: interpretation
  • CFM72350 · Periods beginning on or after 1 January 2007: the regulations: interpretation: ‘financial assets’
  • CFM72360 · Periods beginning on or after 1 January 2007: the regulations: scope
  • CFM72370 · Periods beginning on or after 1 January 2007: the regulations: meaning of a ‘securitisation company’
  • CFM72380 · Periods beginning on or after 1 January 2007: the regulations: the note-issuing company
  • CFM72390 · Periods beginning on or after 1 January 2007: the regulations: the note-issuing company: ‘independent persons’
  • CFM72400 · Periods beginning on or after 1 January 2007: the regulations: the note-issuing company: incidental activities
  • CFM72410 · Periods beginning on or after 1 January 2007: the regulations: the asset-holding company
  • CFM72420 · Periods beginning on or after 1 January 2007: the regulations: the asset-holding company: partnerships
  • CFM72430 · Periods beginning on or after 1 January 2007: the regulations: the asset-holding company: subordinated debt
  • CFM72440 · Periods beginning on or after 1 January 2007: the regulations: intermediate borrowing companies
  • CFM72450 · Periods beginning on or after 1 January 2007: the regulations: warehouse companies
  • CFM72460 · Periods beginning on or after 1 January 2007: the regulations: warehouse companies: abortive warehouse arrangements
  • CFM72470 · Periods beginning on or after 1 January 2007: the regulations: commercial paper funded companies
  • CFM72480 · Periods beginning on or after 1 January 2007: the regulations: ‘retained profit’
  • CFM72490 · Periods beginning on or after 1 January 2007: the regulations: ‘retained profit’: dividends received
  • CFM72500 · Periods beginning on or after 1 January 2007: the regulations: conditions to be met by securitisation companies
  • CFM72510 · Periods beginning on or after 1 January 2007: the regulations: the payments condition: introduction
  • CFM72520 · Periods beginning on or after 1 January 2007: the regulations: the payments condition: the formula
  • CFM72530 · Periods beginning on or after 1 January 2007: the regulations: the payments condition: examples of ‘RA’
  • CFM72540 · Periods beginning on or after 1 January 2007: the payments condition: meaning of payment
  • CFM72550 · Periods beginning on or after 1 January 2007: the payments condition: failure to make a payment
  • CFM72560 · Periods beginning on or after 1 January 2007: the payments condition: other points
  • CFM72570 · Periods beginning on or after 1 January 2007: the unallowable purposes rule
  • CFM72580 · Periods beginning on or after 1 January 2007: the regulations: the corporation tax charge: the formula: ‘RP’ and ‘DS’
  • CFM72590 · Periods beginning on or after 1 January 2007: the regulations: the corporation tax charge: the formula: ‘D’
  • CFM72600 · Periods beginning on or after 1 January 2007: the regulations: the corporation tax charge: the ‘specified amount’
  • CFM72610 · Periods beginning on or after 1 January 2007: the regulations: the corporation tax charge: applies instead of the normal CT rules
  • CFM72620 · Periods beginning on or after 1 January 2007: modifications to commencement and cessation rules
  • CFM72630 · Periods beginning on or after 1 January 2007: the regulations: modifications to other tax rules
  • CFM72640 · Periods beginning on or after 1 January 2007: the regulations: modifications to other tax rules: group relief
  • CFM72650 · Periods beginning on or after 1 January 2007: the regulations: modifications to other tax rules: capital assets
  • CFM72660 · Periods beginning on or after 1 January 2007: the regulations: modifications to certain tax rules: loan relationships
  • CFM72670 · Periods beginning on or after 1 January 2007: the regulations: modifications to certain tax rules: derivative contracts
  • CFM72675 · Periods beginning on or after 1 January 2018: the regulations: modifications to certain tax rules: recovery of unpaid corporation tax
  • CFM72680 · Periods beginning on or after 1 January 2007: the regulations: modifications to other tax rules: other points
  • CFM72690 · Periods beginning on or after 1 January 2007: credit card securitisations
  • CFM72700 · Periods beginning on or after 1 January 2007: modifications to other tax rules: taxation of the investor
  • CFM72710 · Periods beginning on or after 1 January 2007: other types of securitisation company
  1. Other tax rules on corporate finance: securitisation: contents
  2. Other tax rules on corporate finance: securitisation: periods beginning on or after 1 January 2007: the payments condition: meaning of payment

CFM72540 | Other tax rules on corporate finance: securitisation: periods beginning on or after 1 January 2007: the payments condition: meaning of payment

From HM Revenue & Customs · Corporate Finance Manual

Meaning of payment

The words ‘payment’ and ‘receipt’ follow their normal meanings, consistent with case law (see for example the commentary on when interest is paid in CTM51790 and CFM35830). ‘Payment’ is a movement of funds in discharge of a legal obligation and ‘receipt’ must be taken as having a corresponding meaning. Thus, the terms include the disbursement or collection of funds in settlement of loans, interest or other expenses, and advancing funds by way of loan, and receipt of funds borrowed. ‘R’ will include the note issue proceeds received by a note-issuing company at the outset of the securitisation, and ‘P’ will include any amount that it advances to an intermediate borrowing company by way of loan or which it pays to the originator by way of purchase price for the assignment to it of the securitised assets.

However, it is clear that, in the context of the regulations, the words apply only to payments and receipts to and from third parties, and do not include a company effecting payments into, withdrawals from or transfers between accounts of the same company that are solely beneficially owned by the company in question (even where, as will normally be the case, such accounts form part of the security for the capital market arrangement). This means that such a transfer does not give rise to a ‘payment’ from the first account and a ‘receipt’ in the second account, and does not start the clock ticking again for the purposes of the payments condition.

Where a company sets aside an amount of ‘R’ to build up ‘RA’, it will generally do this by paying the sum in question into a deposit account which is solely beneficially owned by itself. The making of that deposit will not be regarded as a ‘payment’ by the company, and where the company makes a withdrawal from the account, it will not be regarded as a ‘receipt’.

Nor will ‘payment’ include a transfer of funds by a company to a trustee who holds the funds as a nominee (or equivalent) for the company. However, ‘payment’ will include a transfer of funds to a trustee who holds the trust property in undivided shares for the company and other persons (as will typically be the case with a “receivables trustee” of the type commonly encountered in securitisations), and ‘receipt’ will be construed on a corresponding basis.

It is common for securitisation companies to invest temporary accumulations of surplus cash received during a payment cycle in specified categories of permitted investments, exclusively beneficially owned by the company for so long as they are held by it. If such investments are pure deposits by the company (as would commonly be the case under ‘guaranteed investment contracts’), they will be treated in the same way as all other payments by the company into a bank account of its own.

On the other hand, if such investments are securities which the company purchases in the market, whether as a subscriber or in the secondary market, any amounts paid by the company to acquire such securities will be ‘payments’ and any amounts received by it on disposal or redemption of such securities will be ‘receipts’. If this distinction is abused, the ‘unallowable purposes’ provisions (CFM72570) may become relevant. In this connection, it should be noted that ‘permitted investments’ are normally held on a short-term basis (3 to 6 months) and only up to the end of the payment cycle in which they are acquired, at which point sale or redemption proceeds will normally be included in the funds which are subject to the applicable priority of payments for the company concerned.

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