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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 regulations: modifications to other tax rules: other points

CFM72680 | Other tax rules on corporate finance: securitisation: periods beginning on or after 1 January 2007: the regulations: modifications to other tax rules: other points

From HM Revenue & Customs · Corporate Finance Manual

Other tax rules

Transfer pricing

See INTM566010 for guidance on thin capitalisation issues in securitisation structures, and INTM430000 for more on transfer pricing rules generally. A securitisation company within the regulations calculates its profit in accordance with Regulation 14 and not on the basis of its profits. It cannot self-assess an adjustment to those profits under TIOPA10/Part 4, nor can such an adjustment be sought by HMRC.

Deduction of tax

The normal rules that apply for the purposes of the loan relationships and derivative contracts legislation apply to a securitisation company, but as with other tax rules, they are then ‘switched off’ when the corporation tax charge under Regulation 14 comes to be applied (CFM72580).

ITA07/S980 explicitly disapplies any requirement to deduct tax from a derivative contract. This applies to securitisation companies as to any other company.

In most cases, payments between UK resident companies are exempt from the rules on deduction of tax at source in ITA07/S874 by virtue of ITA07/S930. This also allows gross payment by UK companies to UK permanent establishments (PEs) of non-resident companies, where the PE carries on a trade and is taxable under CTA09/S5(2). A UK PE of a foreign securitisation vehicle, although in practice unusual, will fall within this category and there will be no requirement for UK payers to deduct tax from payments to such PEs.

Non-resident securitisation companies

A non-resident company will be capable of qualifying as a securitisation company if, taking account of all its activities in the UK and elsewhere, it falls within one of the definitions in the regulations. A non-resident securitisation company may carry on a trade in the UK through a permanent establishment (CTA09/S5(2)). The company’s ‘retained profit’ under regulation 10 (CFM72480), and the tax charge under regulation 14 (CFM72580), will be calculated as for any securitisation company, having regard to all its activities, whether carried on in the UK or elsewhere. The tax charge under regulation 14 will be on the amount calculated under that regulation, so far as attributable to the UK permanent establishment in accordance with CTA09/S5.

Annual payment {#}s – accounting periods beginning prior to 1 January 2018

The original and deferred consideration for the securitised assets paid by the bond issuer to the originator will be brought into account as credits under the loan relationship regime. In some securitisations the rights to further payments (such as early redemption fees by mortgage holders) may be sold on by the originator to third parties in the form of freely tradeable certificates. Such ‘residuals financing structures’ are a common feature of the securitisation industry.

Although payments made by the issuer following the assignment of the certificates to third parties have some characteristics of annual payments (for example they are payable under legal agreements and are capable of recurrence), they are not usually pure income profit in the hands of the recipient, and will not be annual payments.

For accounting periods beginning prior to 1 January 2018 whether or not such payments fall to be treated as annual payments, and thus may require deduction of tax, will depend on the facts of the case. It is likely that arrangements made ‘off market’ or in a particularly complex manner will need further enquiry.

Removal of withholding obligation on annual payments – accounting periods beginning on or after 1 January 2018

SI2006/3296: regulation 14A

Regulation 14A, which was inserted by the Taxation of Securitisation Companies (Amendment) Regulations 2018 (SI2018/143), removes the obligation under ITA07/S901 to withhold tax from any annual payments made by, or on behalf of, a securitisation company. This change applies to such payments made in accounting periods beginning on or after 1 January 2018.

Further details on what constitutes an annual payment can be found within the Savings and Investment Manual starting at SAIM8020.

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