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Official guidance
Savings and Investment Manual

SAIM10000 · Relief for interest paid: overview and contents

  • SAIM10010 · Relief for interest paid: introduction
  • SAIM10020 · Relief for interest paid: general conditions
  • SAIM10030 · Relief for interest paid: general conditions: the claimant
  • SAIM10040 · Relief for interest paid: general conditions: joint loans: examples
  • SAIM10050 · Relief for interest paid: certificates from lenders
  • SAIM10060 · Relief for interest paid: interest in excess of a reasonable commercial rate
  • SAIM10070 · Relief for interest paid: interest in excess of a reasonable commercial rate: examples
  • SAIM10080 · Relief for interest paid: interest relieved on a paid basis
  • SAIM10090 · Relief for interest paid: reasonable commercial rate
  • SAIM10100 · Relief for interest paid: arrangements minimising risk to borrower
  • SAIM10110 · Relief for interest paid: arrangements minimising risk to borrower: definitions
  • SAIM10120 · Relief for interest paid: arrangements minimising risk to borrower: arrangements producing a broadly compensatory amount
  • SAIM10130 · Relief for interest paid: arrangements minimising risk to borrower: examples
  • SAIM10200 · Relief for interest paid: loans to buy plant or machinery
  • SAIM10210 · Relief for interest paid: interest in a close company
  • SAIM10220 · Relief for interest paid: interest in a close company: ‘eligibility requirements’
  • SAIM10230 · Relief for interest paid: interest in a close company: the ‘full-time working conditions’
  • SAIM10240 · Relief for interest paid: interest in a close company: ‘material interest conditions’
  • SAIM10250 · Relief for interest paid: interest in a close company: recovery of capital
  • SAIM10260 · Relief for interest paid: interest in a close company: ‘capital recovery condition’: example
  • SAIM10270 · Relief for interest paid: interest in an employee-controlled company
  • SAIM10280 · Relief for interest paid: interest in a partnership: introduction
  • SAIM10290 · Relief for interest paid: interest in a partnership: ‘eligibility requirements’
  • SAIM10300 · Relief for interest paid: interest in a partnership: film partnerships
  • SAIM10310 · Relief for interest paid: interest in a partnership: recovery of capital
  • SAIM10320 · Relief for interest paid: interest in a partnership: return of partnership capital
  • SAIM10330 · Relief for interest paid: interest in a co-operative
  • SAIM10340 · Relief for interest paid: continuity of relief on business successions
  • SAIM10350 · Relief for interest paid: loan to pay inheritance tax
  1. Relief for interest paid: overview and contents
  2. Relief for interest paid: general conditions: joint loans: examples

SAIM10040 | Relief for interest paid: general conditions: joint loans: examples

From HM Revenue & Customs · Savings and Investment Manual

Examples of the relief available where spouses take out joint loans

Example 1

Mr and Mrs A took out a loan in joint names for £100,000 that was invested by Mr A in purchasing shares in a qualifying company. The interest paid on this loan in the tax year 17/18 totalled £10,000 and was paid from a bank account held jointly in the names of Mr and Mrs A.

Mr A would be able to claim relief for the full amount of interest paid in 17/18 of £10,000.

Example 2

Mr and Mrs A took out a loan in joint names for £100,000 that was invested as follows:

  • £60,000 to purchase shares for Mr A in a qualifying company.

  • £40,000 to purchase shares for Mrs A in a qualifying company.

The interest paid on this loan in the tax year 17/18 totalled £10,000 and this was paid from a bank account held jointly in the names of Mr and Mrs A.

Under these circumstances, the following relief for interest paid in the tax year 17/18 would be available:

  • Mr A - £6,000

  • Mrs A - £4,000

Example 3

Using the circumstances in example 2, what would happen if the loan was taken out solely by Mr A and he paid the interest from his own bank account?

The only relief available would be to Mr A for the £6,000 relating to the relevant proportion of his investment. The interest of £4,000 paid on the £40,000 invested in shares for Mrs A would not attract relief as this amount was not invested by Mr A for a qualifying purpose. It was used to provide funds to Mrs A with which she made the investment. Mrs A does not pay interest in connection with this investment and so no relief is due to her.

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