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Official guidance
Savings and Investment Manual

SAIM2700 · Disguised interest

  • SAIM2710 · Interest: disguised interest: overview
  • SAIM2720 · Interest: disguised interest: what is disguised interest?
  • SAIM2730 · Interest: disguised interest: what is disguised interest: the determining factors
  • SAIM2740 · What is disguised interest: the determining factors: the practical likelihood of the return
  • SAIM2750 · What are 'arrangements'?
  • SAIM2760 · The charge to tax
  • SAIM2770 · Excluded shares
  • SAIM2780 · Excluded shares: what are 'relevant arrangements'?
  • SAIM2790 · Double taxation
  • SAIM2800 · Examples
  • SAIM2810 · Examples: returns based on an index of equity or commodity prices
  • SAIM2820 · Transitional rules
  1. Disguised interest: contents
  2. Disguised interest: transitional rules

SAIM2820 | Disguised interest: transitional rules

From HM Revenue & Customs · Savings and Investment Manual

The disguised interest rules apply to returns from arrangements to which a person becomes party on or after 6 April 2013. Returns arising on or after 6 April 2013 from arrangements entered into before 6 April 2013 are not caught by the disguised interest rule, unless they are returns from arrangements that would have been within the provisions that were repealed by FA13/SCH12. These provisions are the legislation on guaranteed returns from disposals of futures and options, and on manufactured payments and repos (SAIM2710).

Where a person was party to such arrangements before 6 April 2013, returns arising on or after that date are taxable as disguised interest.

Where a pre-6 April 2013 arrangement that was not within the disguised interest rule is rolled over or refreshed, for example as part of a reconstruction undertaken on or after 6 April 2013, this will amount to a new arrangement, and returns from it after 6 April 2013 will be disguised interest.

Excluded shares

Shares issued before 6 April 2013 and admitted for trading on a regulated market are excluded from the disguised interest provisions, subject to an anti-avoidance provision where arrangements are entered into after that date. The tax treatment applying to such shares before 6 April 2013 will therefore be grandfathered in most cases. See SAIM2770.

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