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Contents

Official guidance
Corporate Finance Manual

CFM81300 · Old rules: loan relationships: consortia and bad debts

  • CFM81310 · Overview
  • CFM81320 · Summary of Para 5A
  • CFM81330 · Conditions for Para 5A
  • CFM81340 · Old rules: taxing loan relationships: consortia and bad debts: amount of restriction
  • CFM81350 · Relevant net debit
  • CFM81360 · Group relief
  • CFM81370 · Effect of releases
  • CFM81380 · Limit of debits
  • CFM81390 · Limit of debits: examples
  • CFM81400 · Subsequent recovery
  • CFM81410 · Group relief restriction
  • CFM81420 · Carry forward of group relief
  1. Old rules: loan relationships: consortia and bad debts: contents
  2. Old rules: loan relationships: consortia and bad debts: group relief

CFM81360 | Old rules: loan relationships: consortia and bad debts: group relief

From HM Revenue & Customs · Corporate Finance Manual

Amount of restriction: group relief

This guidance applies to periods of account beginning before 1 January 2005

The amount of the bad debt restriction hinged on the group relief that each consortium member, or members of its group, claimed from the consortium company.

Example

In Year 1, Porwin Ltd (owned 50% by Ulla (South) Ltd and 50% by Rewdon Manufacturing Ltd) had losses of £102,000 available to surrender.

The maximum amount of group relief that the Ulla group can claim, under ICTA88/S403C, was (and remains) the smaller of

  • 50% of the loss available to surrender (£51,000)

  • the amount of total profits as reduced by any other relief.

The same rules applied to the Rewdon group.

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