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Contents

Official guidance
Partnership Manual

PM190000 · Partnership loss claims and restrictions: contents

  • PM191000 · Introduction
  • PM191100 · Claims and elections
  • PM192000 · Calculation of limit relief: partners' capital contribution
  • PM193000 · Calculation of limit relief: £25,000 annual limit
  • PM194000 · Limited Partners
  • PM195000 · Limited partners: examples
  • PM196000 · LLP members
  • PM197000 · Active LLP members: example
  • PM198000 · Unrelieved amounts
  • PM199000 · Non-active partners in early tax years
  • PM200000 · Non-active partners in early tax years: example
  • PM201000 · Non-active partners: unrelieved amounts
  • PM202000 · Risk-free capital contributions
  • PM203000 · Cost of contribution financed by loan
  • PM204000 · Cost of contribution reimbursed to partner
  • PM205000 · Exemptions
  • PM206000 · Recovery of excess relief
  • PM207000 · Recovery of excess relief: example
  • PM208000 · Licence-related losses: exit charge
  • PM209000 · Changes of partners: loss relief
  1. Partnership loss claims and restrictions: contents
  2. Cost of contribution reimbursed to partner

PM204000 | Cost of contribution reimbursed to partner

From HM Revenue & Customs · Partnership Manual

Reg 5 Partnerships (Restrictions on Contributions to a Trade) Regulations 2005, SI 2005 No 2017

A contribution is excluded from counting as a capital contribution for the purposes of the restrictions on sideways loss reliefs (see PM191000) where the cost of making it:

  • is not financed by a loan, but

  • is or may be subsequently reimbursed to the partner by someone else.

The contribution is excluded when, and to the extent that:

  • there is at any time an agreement or arrangement under which any part of the financial cost of making the contribution will or may be reimbursed, directly or indirectly, to the partner by another person, or

  • in cases where there is no pre-existing agreement or arrangement, at the time that any part of the financial cost of making the contribution is directly or indirectly reimbursed to the partner by another person.

In all cases, ‘another person’ can be a partnership, and includes the partnership to which the contribution is made and of which the individual is a partner.

A particular form of scheme caught by this (to the extent that it not already caught by restrictions under primary legislation) is one where a partner has a right to receive a particular amount on the winding up of a partnership, or the sale of their partnership interest, irrespective of the success of the partnership.

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