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Contents

Official guidance
Corporate Finance Manual

CFM84000 · Old rules: derivative contracts: basic rules pre FA 2004

  • CFM84010 · Authorised methods
  • CFM84020 · GAAP
  • CFM84030 · Authorised accruals method
  • CFM84040 · Accruals basis
  • CFM84050 · Accruals basis examples
  • CFM84060 · Mark to market
  • CFM84070 · Mark to market examples
  • CFM84080 · Accruals and MTM compared
  • CFM84090 · Connected parties
  • CFM84100 · Which authorised method?
  • CFM84110 · Authorised method or equivalent
  • CFM84120 · Applying the correct method
  • CFM84130 · Equates to authorised basis
  • CFM84140 · Electing for MTM
  • CFM84150 · Mandatory mark to market
  • CFM84160 · Computing credits and debits
  • CFM84170 · Related transactions
  • CFM84180 · Profits, gains and losses
  • CFM84190 · Change of accounting method
  • CFM84200 · Change of accounting method example
  • CFM84210 · Reserves
  • CFM84220 · Expenses
  • CFM84230 · Exchange gains and losses
  1. Old rules: derivative contracts: basic rules pre FA 2004: contents
  2. Old rules: derivative contracts: basic rules pre FA 2004: connected parties

CFM84090 | Old rules: derivative contracts: basic rules pre FA 2004: connected parties

From HM Revenue & Customs · Corporate Finance Manual

Connected parties

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

There is nothing in the derivative contract rules which reproduces the effect of FA96/SCH9/PARA6 which provides that no relief is normally given for bad debts nor for any taxation of releases where the parties are connected. Nor is there anything equivalent to FA96/S87, which would require use of an accruals basis by reason of the parties to a derivative contract being connected.

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