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Contents

Official guidance
Corporate Finance Manual

CFM82100 · Old rules: convertibles pre 2005

  • CFM82110 · Introduction
  • CFM82120 · What are convertibles
  • CFM82130 · Conditions for lender
  • CFM82140 · Conditions for holder
  • CFM82150 · Connected companies
  • CFM82160 · Connected companies: transitional rules
  • CFM82170 · Nature of the security
  • CFM82180 · Nature of the security: option to purchase shares
  • CFM82190 · Nature of the security: likelihood of conversion
  • CFM82200 · Nature of the security: meaning of predetermined value
  • CFM82210 · Nature of the security: security wholly replaced by shares
  • CFM82220 · Types of share
  • CFM82230 · Definition of qualifying ordinary shares
  • CFM82240 · Return on the security
  • CFM82250 · Return on the security: type of security
  • CFM82260 · Return on the security: premium put arrangements
  • CFM82270 · Tax treatment for lender
  • CFM82280 · Selling and purchasing securities
  • CFM82290 · Ceasing to qualify
  • CFM82300 · Tax consequences of ceasing to qualify
  • CFM82310 · Conditions for borrower
  • CFM82320 · Rules for issuing company
  • CFM82330 · Example for banking and similar businesses
  • CFM82340 · Old rules: disposal of convertible security pre 2005: bringing foreign exchange differences into account
  • CFM82350 · Old rules: disposal of a convertible security pre 2005: bringing foreign exchange differences into account example
  1. Old rules: convertibles pre 2005
  2. Old rules: convertibles pre 2005: conditions for lender

CFM82130 | Old rules: convertibles pre 2005: conditions for lender

From HM Revenue & Customs · Corporate Finance Manual

Conditions for S92 to apply

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

In order for a holder of a security to benefit from the chargeable gains treatment, a number of conditions had to be fulfilled.

Connection

Firstly, there had to be no connection between the parties when the security was issued. If there was a connection, the security could never get CG treatment. There are details of this at CFM82150. (See also the transitional rules set out at CFM82160.)

Holder

Secondly, the security could not be trading stock in its wider sense i.e. circulating capital - for further information see CFM82140.

The convertible

Where the security was issued to an unconnected party, and was not held as trading stock, it then had to satisfy every oneof a number of conditions. The legislation concerning the issue terms that a security must satisfy were in FA96/S92(1), with further definitions in S92(1A)-(1D)

These conditions dealt with

  • the nature of the security - see CFM82170

  • the nature of the shares to be offered in exchange or for conversion - see CFM82220

  • the monetary return on the security - see CFM82240

The aim was to ensure that the security genuinely provided the investor with an equity-type return. If the security failed any of these conditions, all profits or losses came within the loan relationship rules.

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