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Official guidance
Venture Capital Schemes Manual

VCM34000 · SEIS: income tax relief: issuing company: contents

  • VCM34010 · SEIS: income tax relief: issuing company requirements: overview
  • VCM34020 · SEIS: income tax relief: issuing company: trading requirement
  • VCM34030 · SEIS: income tax relief: issuing company: ceasing to meet trading requirement
  • VCM34040 · SEIS: income tax relief: issuing company: issuing company to carry on qualifying business activity
  • VCM34050 · SEIS: income tax relief: issuing company: UK permanent establishment requirement
  • VCM34060 · SEIS: income tax relief: issuing company: financial health requirement
  • VCM34070 · SEIS: income tax relief: issuing company: unquoted status requirement
  • VCM34080 · SEIS: income tax relief: issuing company: control and independence requirement
  • VCM34090 · SEIS: income tax relief: issuing company: no partnerships requirement
  • VCM34100 · SEIS: income tax relief: issuing company: gross assets requirement
  • VCM34110 · SEIS: income tax relief: issuing company: number of employees requirement
  • VCM34120 · SEIS: income tax relief: issuing company: no previous other risk capital schemes investments
  • VCM34130 · SEIS: income tax relief: issuing company: amount raised through SEIS
  • VCM34140 · SEIS: income tax relief: issuing company: qualifying subsidiaries requirement
  • VCM34150 · SEIS: income tax relief: issuing company: property managing subsidiaries requirement
  1. SEIS: income tax relief: issuing company: contents
  2. SEIS: income tax relief: issuing company: unquoted status requirement

VCM34070 | SEIS: income tax relief: issuing company: unquoted status requirement

From HM Revenue & Customs · Venture Capital Schemes Manual

ITA07/S257DF

At the time when the shares are issued, neither they nor any of the company's other shares or debentures or other securities may be quoted - that is, listed on an exchange which is at that time a recognised stock exchange (see CTM60310) or has been designated by HMRC, or be dealt in outside the UK by any means designated by HMRC.

In addition, at the time when the shares are issued there must not be any arrangements for such a listing, or for the company to become a subsidiary of another company, which would not satisfy this requirement. It may become quoted later without the investors losing tax relief, but not if there were arrangements for it to become quoted in existence when the shares were issued.

The Alternative Investment Market (AIM) and the Acquis Stock Exchange (with the exception of Acquis Main Market) are not considered to be recognised exchanges, so a company listed on those markets can raise money under the SEIS if it satisfies all the other conditions. The Acquis Main Market is regarded as a recognised stock exchange and shares listed on that market at the time of issue will not qualify for SEIS.

Enquiries as to whether an exchange or a means of dealing has been designated should be addressed to CT Innovation & Growth Team (CTI&G).

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