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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 partnership: introduction

SAIM10280 | Relief for interest paid: interest in a partnership: introduction

From HM Revenue & Customs · Savings and Investment Manual

Loan to invest in a partnership

ITA07/S398 to ITA07/S400 provides relief to be given to an individual for interest paid on a loan applied in acquiring an interest in a partnership or in providing a partnership with capital or a loan. Such interest is a liability of the individual and not of the partnership and therefore is not allowable as an expense in computing the firm’s profits.

The relief covers loans to

  • buy a share in a partnership,

  • contribute money to the partnership by way of capital or premium, which is used for the purposes of a trade or profession carried on by the partnership,

  • advance money to the partnership, which is used for the purposes of a trade or profession carried on by the partnership,

  • repay another eligible loan to a partnership.

Relief will be due to both a new partner who ‘buys in’ to an existing firm by purchasing the share of an outgoing partner, and to an existing partner who increases his or her share by ‘buying out’, wholly or in part, the shares of others.

Buying a share in a partnership

‘Share’ implies that the claimant must be a partner but there are no conditions about the extent of his interest in the capital or profits of the partnership. It is only possible to buy something that exists, and as a partnership or LLP cannot create and sell shares in itself, in this context the ‘share’ is the interest in the partnership or LLP being acquired from an existing partner.

Contributing money to a partnership by way of capital or a premium

A capital contribution will ordinarily be credited to the individual’s capital account in the partnership balance sheet. A premium is a sum contributed over and above the amount credited to the contributor’s capital account and may be retained by the other partners personally.

To qualify, the money must be used wholly and exclusively for the purposes of the partnership trade or profession. A premium retained by the other partners personally may fail to satisfy this condition.

Advancing money to a partnership

The money must be used wholly and exclusively for the purposes of the partnership’s trade or profession.

Repaying another eligible loan

Relief is due if the interest on the original loan would have been eligible for relief had that loan continued. In such a case the loans are treated as if they were one loan (ITA07/S408).

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