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Contents

Official guidance
Venture Capital Schemes Manual

VCM74000 · Share Loss Relief: individual and corporate claimants: individual claimants

  • VCM74010 · Method of approach
  • VCM74020 · The claims procedure
  • VCM74030 · Giving relief
  • VCM74035 · Limit on income tax reliefs
  • VCM74040 · Priority over other reliefs for losses
  • VCM74050 · Interaction with CGT
  • VCM74060 · Subscription for shares
  • VCM74070 · Qualifying shares and 'eligible shares'
  • VCM74080 · Types of qualifying share
  • VCM74090 · Disposals and deemed disposals
  • VCM74100 · Distributions by a company which are treated as disposals made by its shareholders
  • VCM74110 · Deemed disposals where an asset is lost or destroyed
  • VCM74120 · Deemed disposals where shares have become of negligible value
  • VCM74300 · Type of company invested in: qualifying trading company
  • VCM75200 · When relief is restricted: what to look out for
  • VCM75210 · When relief is restricted: taking account of further acquisitions (mixed holdings)
  • VCM75220 · When relief is restricted: taking account of reorganisations and reconstructions
  • VCM75230 · A simple case without complications
  • VCM75240 · A simple case without complications: has there been a disposal?
  • VCM75250 · A simple case without complications: is it the right sort of disposal?
  • VCM75260 · A simple case without complications: was enterprise investment relief attributable to the shares?
  • VCM75270 · A simple case without complications: are other criteria for qualifying shares met?
  • VCM75280 · A simple case without complications: is the claim valid?
  • VCM75290 · A simple case without complications: giving effect to the claim
  • VCM75300 · More complex cases
  • VCM75320 · More complex cases: inherited shares
  • VCM75330 · More complex cases: bonus shares
  • VCM75340 · More complex cases: shares received under rights issues
  • VCM75350 · More complex cases: shares received in exchange for other shares in a take-over: general
  • VCM75360 · More complex cases: shares received in exchange for other shares in a take-over: conditions for ITA07/S145 and S146 to apply
  • VCM75370 · More complex cases: shares received in exchange for other shares in a take-over: how ITA07/S145 has changed over time
  • VCM75380 · More complex cases: shares received in other reconstructions
  • VCM75390 · More complex cases: disposals of new shares (general case)
  • VCM75400 · More complex cases: mixed holdings and part disposals: introduction
  • VCM75410 · More complex cases: mixed holdings and part disposals: limiting Share Loss Relief: first case
  • VCM75430 · More complex cases: mixed holdings and part disposals: limiting share loss relief: third case
  • VCM75440 · More complex cases: disposal of shares forming part of a mixed holding: introduction
  • VCM75450 · More complex cases: disposal of shares forming part of a mixed holding: general case
  • VCM75460 · More complex cases: disposal of shares forming part of a mixed holding: special case
  • VCM75470 · More complex cases: disposal of shares forming part of a mixed holding: the ‘just and reasonable’ test
  • VCM75480 · More complex cases: disposal of shares forming part of a mixed holding: where an election has been made under TCGA92/S105
  • VCM75490 · More complex cases: disposal of shares forming part of a mixed holding: other points
  • VCM75500 · Deemed time of issue of shares transferred in certain circumstances and corresponding bonus shares
  1. Share Loss Relief: individual and corporate claimants: individual claimants: contents
  2. Share Loss Relief: individual and corporate claimants: individual claimants: types of qualifying share

VCM74080 | Share Loss Relief: individual and corporate claimants: individual claimants: types of qualifying share

From HM Revenue & Customs · Venture Capital Schemes Manual

Shares to which EIS relief is attributable

This is one sub-set of qualifying shares. For the purposes of Share Loss Relief, EIS relief is relief given under either of two heads. It is either income tax relief under Part 5 of ITA 2007 or (in relation to shares issued after 31 December 1993 and before 6 April 2007) it is relief under ICTA88/CH3/PT7. It is not the same as relief under the Business Expansion Scheme, which was available in respect of shares issued before 1 January 1994. For guidance on income tax relief under the Enterprise Investment Scheme, see VCM10500+.

Shares in a qualifying trading company

Shares in a qualifying trading company which were subscribed for by the individual claimant comprise the second sub-set of qualifying shares. For the meaning of ‘subscribed for’, see VCM74060.

The definition of a qualifying trading company is complex and has been amended from time to time over the years. It is considered in detail later in this guidance. In summary, section 134 ITA 2007 imposes three ‘high level’ conditions (A - C) each of which must be met. A fourth condition was repealed for share disposals made on or after 24 January 2019. Each of these high level conditions has two or more subsidiary requirements some or all of which must be met in order for the high level condition to be met. The following table introduces the high level conditions and their subsidiary requirements and provides links to more detailed guidance.

High level condition A: subsidiary requirements to be met at time of, or prior to, disposal of shares

All four subsidiary requirements must be met.

Subsidiary requirementStatute
(ITA 2007)Guidance
The trading requirementS137VCM74610 to VCM74790
The control and independence requirementS139VCM74900 to VCM74910
The qualifying subsidiaries requirementS140VCM74920 to VCM74940
The property managing subsidiaries requirementS141VCM74950 to VCM74970

High level condition B: subsidiary requirements in A also to be met throughout a specified period

Subsidiary requirements are alternative to one another

Subsidiary requirementStatute
(ITA 2007)Guidance
subsidiary requirements in A to be met for continuous period of six yearsS134(3)(a)VCM75000
subsidiary requirements in A to be met for less than six years providing previous activities are limitedS134(3)(b)VCM75000

High level condition C: Upper limit on size of company issuing shares

Both subsidiary requirements must be met

Subsidiary requirementStatute
(ITA 2007)Guidance
Gross assets requirement met before and after share issueS134(4)(a) & S142VCM75100
Unquoted status requirement met at the relevant timeS134(4)(b) & S143VCM75110

High level condition D: UK Business (repealed for share disposals made on or after 24 January 2019)

Originally a requirement that the company be UK resident

Subsidiary requirementStatute
(ITA 2007)Guidance
Company must carry on its business wholly or mainly in UK throughout a specified periodS134(5)VCM75120
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