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Official guidance
Lloyd's Manual

LLM3000 · Reinsurance to close (RITC), technical provisions and equalisation reserves: introduction

  • LLM3010 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: application to Lloyd’s members: general
  • LLM3020 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: application to Lloyd's members: the 4% rule
  • LLM3030 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: application to Lloyd's members: periods affected
  • LLM3040 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: adaptations for Lloyd's members: meaning of technical provisions
  • LLM3050 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: adaptations for Lloyd's members: changes in a member’s share of the syndicate’s business
  • LLM3060 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: adaptations for Lloyd's members: changes in a member’s share of the syndicate’s business: examples
  • LLM3070 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: adaptations for Lloyd's members: the declarations basis and the 'one-year later'’ rule
  • LLM3080 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: adaptations for Lloyd's members (page 1 of 3): regulation 7(1) to (3) of the GI reserves tax Regulations
  • LLM3090 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: adaptations for Lloyd's members (page 2 of 3): regulation 7(4) and (5) of the GI reserves tax Regulations
  • LLM3100 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: adaptations for Lloyd's members (page 3 of 3): regulation 7(6) to (11) of the GI reserves tax Regulations
  • LLM3110 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: particular difficulties
  • LLM3120 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: further help available: the ‘Lloyd's Calculator’
  • LLM3130 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: example: member increases their share of the syndicate’s business (page 1 of 4)
  • LLM3140 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: example: member increases their share of the syndicate’s business (page 2 of 4)
  • LLM3150 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: example: member increases their share of the syndicate’s business (page 3 of 4)
  • LLM3160 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: example: member increases their share of the syndicate’s business (page 4 of 4)
  • LLM3170 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: example: member reduces their share of the syndicate’s business (page 1 of 4)
  • LLM3180 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: example: member reduces their share of the syndicate’s business (page 2 of 4)
  • LLM3190 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: example: member reduces their share of the syndicate’s business (page 3 of 4)
  • LLM3200 · Reinsurance to close (RITC) and technical provisions: section 107 FA2000: example: member reduces their share of the syndicate’s business (page 4 of 4)
  • LLM3210 · Reinsurance to close (RITC) and technical provisions: taxation before and after section 107 FA 2000
  • LLM3300 · Reinsurance to close (RITC) and technical provisions: taxation following repeal of section 107 FA2000: the appropriate amount: adaptations for Lloyd’s members
  • LLM3310 · Reinsurance to close (RITC) and technical provisions: taxation following repeal of section 107 FA 2000: the appropriate amount: adaptations of FA07/SCH11
  • LLM3320 · Reinsurance to close (RITC) and technical provisions: taxation following repeal of section 107 FA 2000: appropriate amount Regulations SI2009/1926: application to members of Lloyd’s syndicates
  • LLM3330 · Reinsurance to close (RITC) and technical provisions: taxation following repeal of section 107 FA 2000: the appropriate amount: application to Lloyd’s syndicates: amendment of the administrative regulations for enforcement purposes
  • LLM3400 · Equalisation reserves for corporate and partnership members: background
  • LLM3410 · Equalisation reserves for corporate and partnership members: scope of relief
  • LLM3420 · Equalisation reserves for corporate and partnership members: equivalent Lloyd’s reserve
  • LLM3430 · Equalisation reserves for corporate and partnership members: application of the section 444BA ICTA rules
  • LLM3440 · Equalisation reserves for corporate and partnership members: election not to take a tax deduction
  • LLM3450 · Equalisation reserves for corporate and partnership members: cessations
  • LLM3460 · Equalisation reserves for corporate and partnership members: anti-avoidance
  • LLM3470 · Equalisation reserves for corporate and partnership members: repeal
  1. Reinsurance to close (RITC), technical provisions and equalisation reserves: introduction
  2. Equalisation reserves for corporate and partnership members: equivalent Lloyd’s reserve

LLM3420 | Equalisation reserves for corporate and partnership members: equivalent Lloyd’s reserve

From HM Revenue & Customs · Lloyd's Manual

The relief (FA09/S47) operates through the application of the main equalisation tax relief provisions (ICTA88/S444BA) to an ‘equivalent Lloyd’s reserve’ subject to adaptations set out in regulations made under a Treasury power conferred by FA09/S47. These regulations are The Lloyd’s Underwriters (Equalisation Reserves) (Tax) Regulations 2009, SI2009/2039.

The reserve, to be an equivalent Lloyd’s reserve, must be “maintained by a corporate or partnership member for purposes, or in a manner, such as to make it equivalent to an equalisation reserve maintained by equalisation reserves rules”. The equalisation reserve rules for this purpose are those laid down by the Financial Services Authority in chapter 1.4 of the INSPRU sourcebook. The reference to “in a manner” is important. It means that the Lloyd’s member may maintain the equalisation reserve purely as part of its tax computations and not as a requirement of any regulatory authority or recognised accounting practice, so long as it is maintained in the appropriate manner, that is, as though the equalisation reserve rules applied to it.

The de minimis limit described at GIM7050 does not apply, as the reserve may be maintained in the manner of the INSPRU rules without regard to INSPRU 1.4.18, which is a maintenance requirement that does not apply to equivalent Lloyd’s reserves.

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