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Contents

Official guidance
Corporate Intangibles Research and Development Manual

CIRD45000 · Intangible assets: related party rules

  • CIRD45010 · Introduction
  • CIRD45020 · Circumstances where relevant
  • CIRD45025 · Valuation rules: overview
  • CIRD45030 · Market value rule: general
  • CIRD45033 · Market value rule: transfers giving rise to a distribution or employment income charge
  • CIRD45035 · Market value rule: transfers where CGT gifts hold-over relief is claimed
  • CIRD45038 · Market value rule: interaction with transfer pricing – cross-border transfers
  • CIRD45040 · Market value rule: interaction with the transfer pricing rules - cross border transfers where transfer pricing adjustment not required
  • CIRD45050 · Licence not granted at market value
  • CIRD45055 · Licence not granted at market value – how to apply market value
  • CIRD45105 · Statutory definition: outline
  • CIRD45120 · Statutory definition: comparison with ‘connected person’
  • CIRD45130 · Statutory definition: persons treated as related parties: insolvency arrangements
  • CIRD45150 · Definition of control: general
  • CIRD45160 · Definition of control: major interest
  • CIRD45180 · Definition of control: power to attribute interests of one person to another: general
  • CIRD45190 · Definition of control: power to attribute interests of one person to another: ‘connected persons’
  • CIRD45195 · Definition of control: power to attribute interests of one person to another: other than by virtue of ‘connected person’ test
  • CIRD45200 · Interest held jointly
  • CIRD45250 · Participator in close company
  • CIRD45260 · Partnership incorporation of a pre-FA 2002 business: outline
  • CIRD45265 · Partnership incorporation of a pre-FA 2002 business: technical arguments
  • CIRD45270 · Partnership incorporation of a pre-FA 2002 business: establishing the facts
  1. Intangible assets: related party rules: contents
  2. Intangible assets: related party rules: introduction

CIRD45010 | Intangible assets: related party rules: introduction

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

CTA09/PART8 CHAPTERS 12-13

This section of the manual:

  • sets out the various circumstances in which the question whether a person is a related party of a company needs to be considered (CIRD45020), and

  • describes the statutory definition (CIRD45105 onwards).

In broad terms, the concept of a related party is used to identity a person (a natural person or a legal entity) who is in the same economic family as the company whose CT computations are at issue. Where that is the case a number of special rules are triggered. These relate to transactions between the parties in connection with intangible assets and reflect, in one way or another, their actual or potential lack of economic independence from one another.

CIRD45120 outlines how and why the notion of a related party differs from the more familiar concept of a ‘connected person’.

CIRD48000 onwards describes the rules in Part 8 specifically focused on tax avoidance.

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