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Contents

Official guidance
VAT Valuation Manual

VATVAL11500 · Specific applications: apportionment and valuation of membership benefits

  • VATVAL11510 · General
  • VATVAL11520 · Valuation of a "nomination right" supplied with shares, bonds or debentures
  • VATVAL11530 · Non-monetary consideration provided for membership benefits - general
  • VATVAL11540 · Compulsory interest-free loans
  • VATVAL11550 · Compulsory loans with minimal interest
  • VATVAL11560 · Compulsory, "permanent loans" with potential payment on cessation of membership
  • VATVAL11570 · Compulsory loans that become voluntary donations
  • VATVAL11580 · Voluntary interest-free loans
  • VATVAL11590 · Interest-free loans with compulsory and voluntary elements
  • VATVAL11600 · Sports clubs and the sporting exemption
  • VATVAL11610 · Payment by deed of covenant
  1. Specific applications: apportionment and valuation of membership benefits: contents
  2. Specific applications: apportionment and valuation of membership benefits: interest-free loans with compulsory and voluntary elements

VATVAL11590 | Specific applications: apportionment and valuation of membership benefits: interest-free loans with compulsory and voluntary elements

From HM Revenue & Customs · VAT Valuation Manual

Sometimes a club will insist that its members make a loan up to a certain level, but give them the option of lending more if they wish. You should treat each of the two loan elements separately as described above - the first part as a compulsory loan and the second part as a voluntary one where applicable.

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