Skip to content
Solved
SearchBrowse
Sign in

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: market value rule: transfers giving rise to a distribution or employment income charge

CIRD45033 | Intangible assets: related party rules: market value rule: transfers giving rise to a distribution or employment income charge

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

CTA09/PART8/S847

Section 847 ensures that where an intangible asset is transferred from a company to a related party at under-value, or to a company from a related party at over-value, the application of the market value rule is modified in a way that does not prevent a taxable distribution or employment income from arising.

The market value rule is modified where:

  • an asset is transferred from the company at less than its market value, or to the company at more than its market value, and

  • the related party is not a company, or is a company in relation to which the asset is not a chargeable intangible asset immediately after the transfer to it, or immediately before the transfer from it, and

  • the transfer would, if the market value rule were not applied, give rise to an amount to be taken into account in computing any person’s income, profits or losses for tax purposes by virtue of Chapter 2 of CTA10/PART23 (except section 1000 (2)) or ITEPA Part 3.

Consequences

Where this exception applies, section 847 (4) provides that the market value rule does not apply for the purposes of the computations in CTA10/PART23 or ITEPA Part 3. However, computations and debits or credits arising under Part 8 are unaffected - for these purposes the market value rule is applied.

Effective date

This exception to the market value rule applies for transfers made on or after 16 March 2005 - CTA09/SCH2/PARA100 (7).

For transfers prior to this date the market value rule will apply for all purposes of the Taxes Acts. This may mean, for example, that a shareholder transferring an intangible asset to a company they control for more than its market value will be regarded as transferring the asset at its market value for the purposes of CTA10/PART23/S1020. Thus, the company will not have made a distribution within CTA10/PART23.

PreviousNext
PrivacyTerms