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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: interest in a close company: ‘eligibility requirements’

SAIM10220 | Relief for interest paid: interest in a close company: ‘eligibility requirements’

From HM Revenue & Customs · Savings and Investment Manual

Eligibility for interest relief on loans to buy interest in a close company

ITA07/S393 sets out the following two conditions for relief:

  • when the interest is paid the company must not be a close investment holding company, and

  • both the ‘capital recovery condition’ (SAIM10250) and either the ‘full time working condition’ (SAIM10230) or the ‘material interest condition’ (SAIM10240) must be met.

The company must therefore have been a close company for tax purposes throughout the period beginning immediately after the application of the money and ending with the payment of interest giving rise to the claim for relief.

SP3/78 provides that relief should not be refused in a case where, after the application of any loan, the company ceases to be close, provided that all the other conditions for relief, including those referred to in SAIM10250, are satisfied.

Close investment holding companies

CTM60700 onwards has guidance on close investment holding companies.

No relief under ITA07/S392 is due unless at the time the ordinary share capital is acquired and when the interest is paid the company exists wholly or mainly for one of the purposes listed at (a) - (f) of CTM60710. A company will exist wholly or mainly for a particular purpose if at the requisite time that ‘purpose’ is the end or ultimate object of the company (see the case of Lord v Tustain (65TC761)). As regards companies which commence liquidation, see CTM60780.

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