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Contents

Official guidance
Investment Funds Manual

IFM41100 · Stamp duty and SDRT

  • IFM41110 · Background
  • IFM41120 · Share and loan capital repurchases
  • IFM41130 · Specific exemption for repurchases of share and loan capital
  • IFM41140 · Disqualifying arrangements
  • IFM41150 · Substantial sales
  1. Stamp duty and SDRT: contents
  2. Stamp duty and SDRT: disqualifying arrangements

IFM41140 | Stamp duty and SDRT: disqualifying arrangements

From HM Revenue & Customs · Investment Funds Manual

A repurchase of own shares or loan capital is a disqualifying arrangement where it is reasonable to assume that:

  • the repurchase of own shares from an existing holder is connected with the issuing of new shares or loan capital to an acquirer (a person other than the existing holder); and

  • the main purpose or one of the main purposes of the repurchase and new issuing is to secure an outcome which is substantially economically equivalent to a transfer of the QAHC’s own shares or loan capital from the existing holder to the acquirer.

This ensures that Stamp Duty or SDRT should be paid where transactions which are substantially economically equivalent to transfers of shares or loan capital are effected by way of a subscription for new securities (which would be exempt from Stamp Duty and SDRT) and an associated repurchase.

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