Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Venture Capital Schemes Manual

VCM33000 · SEIS: income tax relief: general requirements: contents

  • VCM33010 · SEIS: income tax relief: general requirements: overview
  • VCM33020 · SEIS: income tax relief: general requirements: shares requirement
  • VCM33025 · SEIS: income tax relief: general requirements: advance subscription agreements
  • VCM33030 · SEIS: income tax relief: general requirements: purpose of the issue requirement
  • VCM33040 · SEIS: income tax relief: general requirements: spending of the money raised requirement
  • VCM33050 · SEIS: general requirements: meaning of ‘qualifying business activity’
  • VCM33060 · SEIS: income tax relief: general requirements: no pre-arranged exits requirement
  • VCM33070 · SEIS: income tax relief: general requirements: no tax avoidance requirement
  • VCM33080 · SEIS: income tax relief: general requirements: no disqualifying arrangements requirement
  1. SEIS: income tax relief: general requirements: contents
  2. SEIS: income tax relief: general requirements: no tax avoidance requirement

VCM33070 | SEIS: income tax relief: general requirements: no tax avoidance requirement

From HM Revenue & Customs · Venture Capital Schemes Manual

ITA07/S257CE

Commerciality and tax avoidance

The shares must not be issued other than for bona fide commercial purposes, and must not be issued as part of a scheme or arrangement whose main purpose, or one of whose main purposes, is the avoidance of tax. The reduction of an investor’s tax liability which flows from the schemes in the circumstances intended by Parliament is obviously not a tax advantage at which this rule is aimed.

Before any case is challenged solely on these grounds a report should be made to CT Innovation & Growth Team (CTI&G).

PreviousNext
PrivacyTerms