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Official guidance
Corporate Intangibles Research and Development Manual

CIRD40500 · Intangible assets: groups: degrouping

  • CIRD40505 · Overview
  • CIRD40510 · Outline of rules
  • CIRD40520 · General conditions for adjustment
  • CIRD40530 · Associated companies leaving group together
  • CIRD40540 · Associated companies leaving group: subsequent charge
  • CIRD40545 · When is there a relevant connection between groups?
  • CIRD40550 · Principal company becoming member of another group
  • CIRD40560 · Principal company becoming member of another group: subsequent restoration of degrouping adjustment
  • CIRD40570 · Exception for degroupings qualifying for Substantial Shareholdings Exemption - overview
  • CIRD40575 · Exception for degroupings qualifying for Substantial Shareholdings Exemption - requirements
  • CIRD40580 · Exclusion of commercial mergers
  • CIRD40590 · Exclusion of exempt distributions
  • CIRD40600 · Companies not members of same group at time asset transferred
  • CIRD40610 · Examples of degrouping computation
  • CIRD40705 · Reallocation between group members: candidates
  • CIRD40710 · Reallocation between group members: relevant time and relevant group
  • CIRD40720 · Unpaid degrouping charge: recovery from others: candidates
  • CIRD40730 · Unpaid degrouping charge: recovery from others: definitions
  • CIRD40740 · Unpaid degrouping charge: recovery from others: procedures
  • CIRD40750 · Intra group payments for reinvestment relief and reallocation of taxable credit
  1. Intangible assets: groups: degrouping: contents
  2. Intangible assets: groups: degrouping: reallocation between group members: candidates

CIRD40705 | Intangible assets: groups: degrouping: reallocation between group members: candidates

From HM Revenue & Customs · Corporate Intangibles Research and Development Manual

CTA09/PART8/S792 - Reallocation of taxable credit on degrouping

Outline

CTA09/S792 permits a full or partial reallocation of the taxable credit (see below) between group members. There is a provision for a joint election to be made, subject to the companies being members of the ‘relevant group’ at the ‘relevant time’ (see CIRD40710). The result is that a charge that would have arisen on one company is, instead, regarded as arising on the other in the form of a non-trading credit (CIRD13530) at the relevant time.

Amount which can be reallocated

The taxable credit is simply that arising on the deemed realisation of the asset at market value, the first element in the computation of the degrouping adjustment outlined in CIRD40520. It follows that:

  • no reallocation is possible if the deemed realisation gives rise to a deductible debit; and

  • the further adjustments, which, in the absence of a reallocation election, would have been aggregated with the taxable credit on the deemed realisation, are not taken into account for reallocation purposes and stay with the company leaving the group.

Further condition (CTA09/S793)

There is a further condition concerning residence of the company accepting the taxable credit on degrouping. If not resident at the relevant time, the company must have been carrying on a trade in the UK through a permanent establishment, and not be exempt from UK CT by virtue of the double taxation relief arrangements in TIOPA10/PART2 (CTA09/S793(3)). Where an election is made in these circumstances the taxable credit is regarded as income of the UK branch of the company to which it is reallocated.

(FA03/S153 (1) substituted the words ‘permanent establishment’ for ‘branch or agency’ effective for all accounting periods beginning on or after 1 January 2003.)

Exclusions

For the purposes of making the required election B cannot be a dual resident investing company (CTM34560) or a tax-exempt friendly society.

Form of election

The required election must be made jointly, by notice in writing to HM Revenue & Customs, not more than 2 years after the end of the accounting period of company A within which the relevant time falls. The election must specify the amount of the gain to be reallocated.

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