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Contents

Official guidance
International Manual

INTM654000 · Distribution exemption: Anti-avoidance legislation

  • INTM654010 · Outline
  • INTM654020 · Manipulation of controlled company rules
  • INTM654030 · Manipulation of controlled company rules: purpose test
  • INTM654040 · Quasi-preference or quasi-redeemable shares
  • INTM654050 · Manipulation of portfolio holdings rule
  • INTM654060 · Loan relationships schemes
  • INTM654070 · Deductions schemes
  • INTM654080 · Payments for distributions
  • INTM654090 · Payments not at arm's length
  • INTM654100 · Diversion of trade income
  1. Distribution exemption: Anti-avoidance legislation: Contents
  2. Distribution exemption: Anti-avoidance legislation: payments for distributions

INTM654080 | Distribution exemption: Anti-avoidance legislation: payments for distributions

From HM Revenue & Customs · International Manual

CTA09/S931O: Schemes involving payments for distributions

A distribution is not exempt if is paid as part of a tax advantage scheme whereby a tax deduction is obtained, or taxable income is given up in return for the distribution or a right to receive the distribution.

This anti-avoidance rule is an extension of an older rule that restricts deductions for annual payments (CTA09/S1301). Where the section potentially applies by reason of a tax deduction, the same restrictions apply to S931O as apply to annual payments in S1301.

Where it applies, S931O prevents a distribution from falling into any exempt class and so it becomes taxable income.

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