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Contents

Official guidance
Venture Capital Schemes Manual

VCM36000 · SEIS: income tax relief: withdrawal or reduction of SEIS relief

  • VCM36010 · Overview
  • VCM36020 · Disposal of shares
  • VCM36030 · Call and put options
  • VCM36040 · Value received by investor: overview
  • VCM36050 · SEIS: withdrawal or reduction of relief: value received by the investor: calculation of reduction of relief
  • VCM36060 · SEIS: withdrawal or reduction of relief: value received by investor: meaning of ‘insignificant’
  • VCM36070 · SEIS: withdrawal or reduction of SEIS relief: value received by investor: when value is received
  • VCM36080 · SEIS: withdrawal or reduction of relief: value received by investor: payments not to be included
  • VCM36090 · SEIS: withdrawal or reduction of relief: value received by investor: receipt of replacement value
  • VCM36100 · Acquisition of trade or trading assets
  • VCM36110 · Acquisition of share capital
  • VCM36120 · Relief subsequently found not to have been due
  • VCM36130 · Procedure: overview
  • VCM36140 · SEIS: income tax relief: withdrawal or reduction of relief: procedure: withdrawing relief
  • VCM36150 · SEIS: income tax relief: withdrawal or reduction of relief: procedure: time limits for assessments
  • VCM36160 · Procedure: date from which interest is chargeable
  • VCM36170 · SEIS: withdrawal or reduction of SEIS relief: procedure: HMRC powers to obtain information
  1. SEIS: income tax relief: withdrawal or reduction of SEIS relief: contents
  2. SEIS: income tax relief: withdrawal or reduction of SEIS relief: acquisition of share capital

VCM36110 | SEIS: income tax relief: withdrawal or reduction of SEIS relief: acquisition of share capital

From HM Revenue & Customs · Venture Capital Schemes Manual

ITA07/S257FQ

ITA07/S257FQ covers the situation where the individual investor or a group of which he or she is part formerly controlled a company which then carried on the trade and that company has come to be owned by the company in which the individual has now invested.

For the purpose of deciding whether anyone has a half share in a trade or can control a company the rights and powers of each person are to be taken as including the rights and powers of any associate, see VCM32020, and ‘control’ has the meaning given in CTA10/S450 (see CTM60200).

The persons to whom a trade belongs, or the extent of their interests in it, are to be determined in accordance with CTA10/S941 (see CTM06020).

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