Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Venture Capital Schemes Manual

VCM15000 · EIS: income tax relief: withdrawal or reduction of EIS relief

  • VCM15010 · Overview
  • VCM15015 · Disposal of shares
  • VCM15020 · Call and put options
  • VCM15030 · Value received by the investor: overview
  • VCM15040 · EIS: withdrawal or reduction of relief: value received by the investor: calculation of reduction of relief
  • VCM15050 · Value received by the investor: receipts of insignificant value
  • VCM15060 · Value received by the investor: when value is received
  • VCM15070 · Value received by the investor: amount of value received
  • VCM15080 · Value received by the investor: receipt of replacement value
  • VCM15090 · Repayments of share capital to other persons
  • VCM15100 · Insignificant repayments ignored
  • VCM15110 · Acquisition of a trade or trading assets
  • VCM15120 · Relief subsequently found not to have been due
  • VCM15130 · Procedure: overview
  • VCM15140 · Procedure: assessments
  • VCM15150 · Procedure: time limits for assessments
  • VCM15160 · Procedure: date from which interest is chargeable
  • VCM15170 · Procedure: HMRC power to require information
  1. EIS: income tax relief: withdrawal or reduction of EIS relief: contents
  2. EIS: income tax relief: withdrawal or reduction of EIS relief: value received by the investor: amount of value received

VCM15070 | EIS: income tax relief: withdrawal or reduction of EIS relief: value received by the investor: amount of value received

From HM Revenue & Customs · Venture Capital Schemes Manual

ITA/S216 (6); ITA/S217

An individual is also regarded as receiving value if a person connected with the company (see VCM11050 onwards):

  • purchases any of the share capital or securities of the company which belong to that individual or an associate of his,

or

  • makes any payment to him or his associate for giving up any right in relation to such share capital or securities.

The value received is the amount received or, if greater, the market value of the shares or securities.

Example

A subscribes £2000 for eligible shares in a company and £1100 for loan stock of the same company. A obtains income tax relief on £2000. B, a paid director of the company, then buys the loan stock, which has a market value of £1100, for £1000, thus in effect obtaining a share of A’s tax relief.

The rule in ITA07/S216(6) and ITA07/S217 reduce the amount on which relief is available to A by £1100.

It should be noted that the rule applies whether the sale of shares precedes or follows the subscription for the shares on which relief is claimed, and applies to any types of share capital or securities, for example, preference shares or debentures.

PreviousNext
PrivacyTerms