Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Corporate Finance Manual

CFM98420 · Interest restriction: administration: reporting requirements

  • CFM98430 · The full interest restriction return: TIOPA10/SCH7A/PARA20
  • CFM98440 · The abbreviated interest restriction return: TIOPA10/SCH7A/PARA20
  • CFM98450 · Statement of Calculations: TIOPA10/SCH7A/PARA21
  • CFM98460 · Elections that may be made in the return: TIOPA10/SCH7A/PARAS12-19
  • CFM98470 · Appointment of a reporting company by group: TIOPA10/SCH7A/PARAS1-3
  • CFM98472 · Appointment of a reporting company by group: periods ending before 31 March 2026
  • CFM98475 · Appointment of a reporting company by group: TIOPA10/SCH7A/PARAS1-3
  • CFM98477 · CFM98477 - Interest restriction: administration: reporting requirements: appointment of a reporting company by group
  • CFM98480 · Appointment by HMRC: periods ending before 31 March 2026
  • CFM98485 · Appointment of a reporting company by HMRC: exceptional circumstances TIOPA10/SCH7A/PARA4
  • CFM98487 · Appointment by HMRC
  • CFM98490 · Appointment of replacement by HMRC
  • CFM98500 · Obligation to inform group members
  • CFM98510 · Power to require group members to provide information
  • CFM98520 · Obligation to make a return and time limits
  • CFM98530 · Revised returns and time limits
  • CFM98535 · Required revised returns and time limits
  • CFM98540 · Inclusion of estimates in return
  • CFM98550 · Correction of return by HMRC
  • CFM98560 · Revenue determinations
  • CFM98570 · Consenting and non-consenting companies: periods ending before 31 March 2026
  • CFM98575 · Consenting and non-consenting companies
  • CFM98580 · Statements of allocated interest restrictions
  • CFM98590 · Calculating pro-rata allocations per company
  • CFM98600 · Allocation pro-rata to accounting periods
  • CFM98610 · Statements of allocated interest reactivations
  • CFM98620 · Computing disallowed tax-interest available for reactivation
  • CFM98625 · Conclusiveness of interest restriction return amounts
  1. Interest restriction: administration: reporting requirements
  2. Interest restriction: administration: reporting requirements: statements of allocated interest reactivations

CFM98610 | Interest restriction: administration: reporting requirements: statements of allocated interest reactivations

From HM Revenue & Customs · Corporate Finance Manual

TIOPA10/SCH7A/PARA25

Where a group has been subject to interest restriction in the past, and in a later period of account the interest allowance for the group (TIOPA10/S396) exceeds the group’s aggregate net tax-interest expense (ANTIE) (S390), interest expense that has previously been disallowed may be reactivated.

In this situation, the reporting company will be required by TIOPA10/SCH7A/PARA25 to submit a statement of interest reactivations in which the amount that may be reactivated is allocated between UK group companies. According to S379(1), a company may benefit from a reactivation of interest in a period of account only where:

  • A full interest restriction return is submitted by a reporting company for that period of account;

  • The return contains a statement that the group is subject to interest reactivations in the return period; and

  • The return complies with the requirements of TIOPA10/SCH7A/PARA20(3) including, in particular, the inclusion of a statement of allocated interest reactivations.

Reactivated interest allocated to a company enables it to bring into account disallowed tax interest amounts from earlier periods. The rules governing how this is calculated and limited are set out at CFM98620.

There are no differences between the arrangements for consenting and non-consenting companies.

PARA20(5A) provides that HMRC may, by notice, specify further information that should be included in an interest restriction return. It follows that the specified information may relate to the statement of allocated interest reactivations.

Where information in a statement of allocated interest reactivations is based on estimated figures, it is necessary to sate this and identify the information concerned (CFM98540).

PreviousNext
PrivacyTerms