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Contents

Official guidance
Corporate Finance Manual

CFM92600 · Anti-avoidance rules - contents

  • CFM92610 · Debt cap: anti-avoidance rules: introduction
  • CFM92615 · Debt cap: anti-avoidance rules: general: definition of a scheme
  • CFM92620 · Debt cap: anti-avoidance rules: general: scheme as part of a wider scheme
  • CFM92625 · Debt cap: anti-avoidance rules: general: schemes in place before commencement date
  • CFM92630 · Debt cap: anti-avoidance rules: general: main purpose test
  • CFM92635 · Debt cap: anti-avoidance rules: general: UK company is not party to particular transactions
  • CFM92640 · Debt cap: anti-avoidance rules: general: when the purpose test is applied
  • CFM92645 · Debt cap: anti-avoidance rules: general: change in purpose and whether there is a new scheme to consider
  • CFM92650 · Debt cap: anti-avoidance rules: general: excluded schemes
  • CFM92655 · Debt cap: anti-avoidance rules: general: requests for clearances
  • CFM92660 · Debt cap: anti-avoidance rules: gateway: conditions for anti-avoidance rules to apply
  • CFM92665 · Debt cap: anti-avoidance rules: gateway: effect of anti-avoidance rules applying
  • CFM92670 · Debt cap: anti-avoidance rules: gateway: excluded schemes
  • CFM92675 · Debt cap: anti-avoidance rules: gateway: examples of particular avoidance
  • CFM92680 · Debt cap: anti-avoidance rules: gateway: non-abusive schemes
  • CFM92685 · Debt cap: anti-avoidance rules: financial services exclusion and anti-avoidance rules
  • CFM92690 · Debt cap: anti-avoidance rules: main rules: scope for avoidance
  • CMF92658 · Debt cap: anti-avoidance rules:schemes preventing the debt cap applying to a large group
  • CFM92695 · Debt cap: anti-avoidance rules: main rules: conditions for anti-avoidance rules to apply
  • CFM92700 · Debt cap: anti-avoidance rules: main rules: meaning of ‘relevant net deduction’
  • CFM92705 · Debt cap: anti-avoidance rules: main rules: comparing net relevant deductions: examples
  • CFM92710 · Debt cap: anti-avoidance rules: main rules: Condition B - sum of profits of UK companies
  • CFM92715 · Debt cap: anti-avoidance rules: main rules: Condition B - losses of UK companies
  • CFM92720 · Debt cap: anti-avoidance rules: main rules: effect of anti-avoidance rules applying
  • CFM92725 · Debt cap: anti-avoidance rules: main rules: calculating the counterfactual
  • CFM92730 · Debt cap: anti-avoidance rules: main rules: calculating the counter factual: examples
  • CFM92735 · Debt cap: anti-avoidance rules: main rules: excluded schemes: general
  • CFM92738 · Debt Cap: anti-avoidance rules: main rules: excluded schemes: de minimis amount
  • CFM92740 · Debt cap: anti-avoidance rules: main rules: particular avoidance: examples
  • CFM92745 · Debt cap: anti-avoidance rules: main rules: non-abusive schemes: examples
  • CFM92750 · Debt cap: anti-avoidance rules: EEA financing income: conditions for anti-avoidance rules to apply
  • CFM92755 · Debt cap: anti-avoidance rules: EEA financing income: effect of anti-avoidance rules applying
  • CFM92760 · Debt cap: anti-avoidance rules: EEA financing income: excluded schemes
  • CFM92765 · Debt cap: anti-avoidance rules: EEA financing income: particular avoidance: examples
  • CFM92770 · Debt cap: anti-avoidance rules: EEA financing income: non-abusive schemes: examples
  1. Anti-avoidance rules - contents
  2. Debt cap: anti-avoidance rules: main rules: meaning of ‘relevant net deduction’

CFM92700 | Debt cap: anti-avoidance rules: main rules: meaning of ‘relevant net deduction’

From HM Revenue & Customs · Corporate Finance Manual

This guidance applies to worldwide group periods of account ending before or straddling 1 April 2017.

The relevant net deduction is an amount used to calculate whether the debt cap rules overall have an impact on the corporation tax profits or losses

The term ‘relevant net deduction’ is of significance only for the purposes of Chapter 6. It is defined at TIOPA10/S308 as the amount by which the total disallowed amount for a group for a period of account exceeds the tested income amount. If the total disallowed amount is equal to or less than the tested income amount, then the relevant net reduction is deemed to be nil.

The total disallowed amount is the amount by which the tested expense amount is greater than the available amount. If it is not greater, then the total disallowed amount is deemed to be nil.

The relevant net deduction involves a calculation of whether there is an adjustment to the corporation tax profits or losses of the UK group companies of a group for a period of account after taking into account both whether there is a disallowance of financing expense amounts (under Chapter 3 Part 7) and a disregard of financing income amounts (under Chapter 4 Part 7).

The amount of the relevant net deduction for the purposes of Condition A in TIOPA10/S307 reflects the implementation of the scheme for the period of account in question. That amount must be compared with a notional relevant net deduction, that is, with the amount the relevant net deduction would have been if the scheme had not been implemented. The notional amount is arrived at on the basis of the assumptions set out in TIOPA10/S309 (‘the counterfactual’). The comparison between the relevant net deduction calculated as a result of the scheme being implemented and the notional relevant net deduction calculated on the basis of the counterfactual allows for consideration of the following:

  • Whether the available amount is greater than it would otherwise be;

  • Whether the tested expense amount is less than it would otherwise be;

  • Whether the tested income amount is greater than it would otherwise be.

The comparison does not just look at one possibility; it allows all those possibilities to be taken into account.

See CFM92705 for examples of comparing the relevant net deduction where a scheme has been implemented and the relevant net deduction where the counterfactual has been implemented.

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