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Contents

Official guidance
Corporate Finance Manual
  • CFM1100 · Introduction to the Corporate Finance Manual
  • CFM10000 · Understanding corporate finance
  • CFM20000 · Accounting for corporate finance
  • CFM30000 · Loan relationships
  • CFM40000 · Deemed loan relationships
  • CFM50000 · Derivative contracts
  • CFM60000 · Foreign exchange
  • CFM70000 · Other tax rules on corporate finance
  • CFM80000 · Old rules
  • CFM90000 · Debt cap
  • CFM95000 · Interest restriction
  • CFM14050 · Understanding corporate finance: the legal and regulatory framework: Financial Services and Markets Act 2000: the FSA Handbook
  • CFM21020 · Accounting for corporate finance: International Accounting Standards: history of IAS 32 and IAS 39
  • CFM21040 · Accounting for corporate finance: International Accounting Standards: relationship between IAS 32/IAS 39 and FRS 25/FRS 26
  • CFM21050 · Accounting for corporate finance: International Accounting Standards: the scope of IAS 32 and IAS 39
  • CFM21280 · Accounting for corporate finance: International Accounting Standards: financial instrument disclosures under IFRS 7
  • CFM21290 · Accounting for corporate finance: International Accounting Standards: IAS 32: offsetting
  • CFM21620 · Accounting for corporate finance: International Accounting Standards: IAS 39: measurement of financial assets: fair value
  • CFM21640 · Accounting for corporate finance: International Accounting Standards: IAS 39: measurement of financial assets: amortised cost
  • CFM22200 · Accounting for corporate finance: UK GAAP before 1 January 2005: lenders: mark to market
  • CFM22210 · Accounting for corporate finance: UK GAAP before 1 January 2005: lenders: mark to market: accounting and the profit and loss account
  • CFM22220 · Accounting for corporate finance: UK GAAP before 1 January 2005: lenders: mark to market accounting and fixed rate loans
  • CFM22230 · Accounting for corporate finance: UK GAAP before 1 January 2005: lenders: mark to market: variable rate loans
  • CFM22240 · Accounting for corporate finance: UK GAAP before 1 January 2005: lenders: mark to market: discounted securities
  • CFM22250 · Accounting for corporate finance: UK GAAP before 1 January 2005: lenders: mark to market: convertibles
  • CFM24020 · Accounting for corporate finance: derivative contracts: the development of standards in the UK
  • CFM24040 · Accounting for corporate finance: derivative contracts: what is a derivative financial instrument?
  • CFM24050 · Accounting for corporate finance: derivative contracts: FRS 13 disclosure requirements: what is and is not covered
  • CFM24060 · Accounting for corporate finance: derivative contracts: FRS 13 disclosure requirements: types of disclosure
  • CFM24070 · Accounting for corporate finance: derivative contracts: FRS 13 disclosure requirements: narrative disclosure
  • CFM24080 · Accounting for corporate finance: derivative contracts: FRS 13 disclosure requirements: disclosure of accounting policies
  • CFM24090 · Accounting for corporate finance: derivative contracts: FRS 13 disclosure requirements: numerical disclosure
  • CFM24100 · Accounting for corporate finance: derivative contracts: measurement under FRS 13
  • CFM24110 · Accounting for corporate finance: derivative contracts: specific derivatives
  • CFM24120 · Accounting for corporate finance: derivative contracts: accounting for forward contracts to hedge foreign exchange risk
  • CFM24130 · Accounting for corporate finance: derivative contracts: speculative instruments
  • CFM26300 · Accounting for corporate finance: foreign exchange: consolidated accounts: accounting for branches
  • CFM26310 · Accounting for corporate finance: foreign exchange: consolidated accounts: developments in accounting standards
  • CFM26320 · Accounting for corporate finance: foreign exchange: consolidated accounts: summary of differences between SSAP 20 and FRS 23
  • CFM27110 · Accounting for corporate finance: hedging: IAS 39: hedging currency risk on intra group transactions
  • CFM27190 · Accounting for corporate finance: hedging: IAS 39: macro hedging
  • CFM27200 · Accounting for corporate finance: hedging: IAS 39: macro hedging: conditions
  • CFM27220 · Accounting for corporate finance: hedging: IAS 39: transition to hedge accounting
  • CFM32046 · Loan relationships: taxing and relieving provisions: reform of Corporation Tax loss relief: relaxation of non-trade deficits from loan relationships: summary
  • CFM32047 · Loan relationships: taxing and relieving provisions: reform of Corporation Tax loss relief: relaxation of non-trade deficits from loan relationships: carry-forward against total profits
  • CFM33148 · Loan relationships: the matters and computational rules: transitional rules for changes made by F(2)A15
  • CFM57020 · Derivative contracts: hedging: why special rules are needed
  • CFM57140 · Derivative contracts: hedging: Regulation 7A: hedging proceeds from certain share issues
  • CFM57150 · Derivative contracts: hedging: Regulation 7A: hedging proceeds from certain share issues: example
  • CFM57160 · Derivative contracts: hedging: Regulation 7A: hedging proceeds from certain share issues: connected parties
  • CFM57180 · Derivative contracts: hedging: Regulation 13: commencement and transitional rules applying to Regulation 7A
  • CFM57460 · Derivative contracts: hedging: electing out of the Disregard Regulations: transfers of contracts: example
  • CFM64445 · Accounts drawn up in a foreign currency: rates used for translation: change in tax calculation currency: original currency is sterling
  • CFM95330Interestrestriction · CFM95330 Interest restriction
  • CFM95410InterestRestriction · CFM95410 Interest restriction
  • CFM95420Interestrestriction · CFM95420 Interest restriction
  • CFM95430Interestrestriction · CFM95430 Interest Restriction
  • CFM97505Interestrestriction · CFM97505 Interest restriction
  • CFM98320Interestrestriction · CFM98320 Interest restriction
  • CFM98640Interestrestriction · CFM98640 Interest restriction
  • CFM99020Interestrestriction · CFM99020 Interest restriction
  • CFMUPDATE001 · Corporate Finance Manual: update index
  • CFMUPDATE091207 · Corporate Finance Manual: recent changes
  • CFMUPDATE100126 · Corporate Finance Manual: recent changes
  • CFMUPDATE100419 · Corporate Finance Manual: recent changes
  • CFMUPDATE100428 · Corporate Finance Manual: recent changes
  • CFMUPDATE100625 · Corporate Finance Manual: recent changes
  • CFMUPDATE100707 · Corporate Finance Manual: recent changes
  • CFMUPDATE110118 · Corporate Finance Manual: recent changes
  • CFMUPDATE110621 · Corporate Finance Manual: recent changes
  • CFMUPDATE110706 · Corporate Finance Manual: recent changes
  • CFMUPDATE110822 · Corporate Finance Manual: recent changes
  • CFMUPDATE110927 · Corporate Finance Manual: recent changes
  • CFMUPDATE120106 · Corporate Finance Manual: recent changes
  • CFMUPDATE120320 · Corporate Finance Manual: recent changes
  • CFMUPDATE121105 · Corporate Finance Manual: recent changes
  • CFMUPDATE130927 · Corporate Finance Manual: recent changes
  • CFMUPDATE131119 · Corporate Finance Manual: recent changes
  • CFMUPDATE140429 · Corporate Finance Manual: recent changes
  • CFMUPDATE140514 · Corporate Finance Manual: recent changes
  • CFMUPDATE150316 · Corporate Finance Manual: recent changes
  • Interestrestriction · CFM95695 Interest restriction
  1. Corporate Finance Manual
  2. CFM95420 Interest restriction

CFM95420Interestrestriction | CFM95420 Interest restriction

From HM Revenue & Customs · Corporate Finance Manual

TIOPA10/S485

The rules provide for the situation where the ultimate parent does not draw up financial statements for either the group or itself, for a period throughout which it is the ultimate parent of the group. Where this is the case, it is necessary to first determine the accounts-free period and then, secondly, determine the resulting default period of accounts based on this period.

Accounts-free period

The accounts-free period is taken to be any period which begins on or after 1 April 2017 throughout which the worldwide group exists but no financial statements for the group are prepared or treated as prepared (other than in consequence of S485 or S486) for the accounts-free period. Financial statements are treated as prepared for the worldwide group if, for example, the ultimate parent draws up statements for itself or for a different group.

Default period of accounts

If the accounts-free period is 12 months or less then the period of account is taken to be the accounts-free period.

If the accounts-free period is longer than 12 months, that period is broken up into 12 month period of accounts starting on the first day of the accounts-free period.

Example 1

A Ltd is the ultimate parent of a group but does not produce group accounts because its residence in the Cayman Islands means there is no obligation to do so. A Ltd ceases to be ultimate parent on 1 September 2019.

The accounts-free period will therefore run from 1 April 2017 to 31 August 2019, resulting in the following default periods of account:

  • 1 April 2017 - 31 March 2018 (12 months)

  • 1 April 2018 - 31 March 2019 (12 months)

  • 1 April 2019 - 31 August 2019 (5 months)

Example 2

T Plc has been the ultimate parent of a group since at least 1 April 2017. It has drawn up consolidated financial statements for the group for the year to 31 March 2018.

On 24 August 2018, U Ltd acquires all of the shares in T Plc in a takeover. U Ltd is a member of a different CIR worldwide group whose ultimate parent is V Inc. U Ltd does not draw up consolidated financial statements for a period beginning on 1 April 2018, but draws up single entity financial statements for the period from 1 April 2018 to 31 December 2018 (aligning the end of the period to the date to which its new parent draws up financial statements).

V Inc draws up consolidated financial statements for the years to 31 December 2017 and 31 December 2018.

The T Plc group will have a period of account for the year to 31 March 2018, as the default rule in S480(a) applies (STEP 1 in {CFM95410}).

The T Plc group continues to exist after 31 March 2018, but ceases to exist, as a result of the takeover, on 24 August 2018. But T Plc draws up no financial statements, whether consolidated or single entity, for the period from 1 April 2018 to 23 August 2018.

Accordingly, neither S480(a) nor S484 can apply, and the conditions in S485(1) are satisfied in respect of this period - an accounts-free period. S485(3) deems IAS accounts to have been drawn up for this period which is therefore the final period of account of the T Plc group.

The V Inc group has drawn up consolidated financial statements for the year to 31 December 2017, which would be its period of account, but for the CIR commencement rules which treat the period of account as beginning on 1 April 2017.

The consolidated financial statements determine its next period of account as the year to 31 December 2018, under the default rule in S480(a). This is unaffected by the acquisition of T Plc group, as V Inc is the parent of a worldwide group throughout. The only change is to the composition of the group.

Note that there will be members of both groups whose accounting periods will not coincide with the groups’ periods of account. In making the CIR calculations for these groups, it will be necessary to take into account the disregarded period rules, see for example, as regards tax-interest, CFM95620.

Election

A company can make an election to alter the default period of account.

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