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Contents

Official guidance
Venture Capital Schemes Manual

VCM74300 · Share loss relief: individual and corporate claimants: individual claimants: type of company invested in: qualifying trading company

  • VCM74310 · The role of the concept
  • VCM74320 · Introduction
  • VCM74330 · History of the concept
  • VCM74340 · Seeking information from other offices
  • VCM74510 · Condition A: nature of the issuing company
  • VCM74610 · Condition A: trading requirement: introduction
  • VCM74620 · Condition A: trading requirement: qualifying trades and excluded activities
  • VCM74630 · Condition A: trading requirement: effect of administration or receivership
  • VCM74640 · Condition A: the trading requirement: how the requirement has changed over time
  • VCM74900 · Condition A: control and independence requirement: introduction
  • VCM74910 · Condition A: control and independence requirement: description
  • VCM74920 · Condition A: the qualifying subsidiaries requirement: introduction
  • VCM74930 · Condition A: the qualifying subsidiaries requirement: what is a qualifying subsidiary?
  • VCM74940 · Condition A: qualifying subsidiaries requirement: how the requirement has changed over time
  • VCM74950 · Condition A: property managing subsidiaries requirement: introduction
  • VCM74960 · Condition A: property managing subsidiaries requirement: definition of terms
  • VCM74970 · Condition A: property managing subsidiaries requirement: how this requirement has changed over time
  • VCM74990 · When requirements of condition A must be met
  • VCM75000 · Condition B
  • VCM75100 · Condition C: gross assets requirement
  • VCM75110 · Condition C: unquoted status requirement
  • VCM75120 · Condition D: relationship of issuing company to UK
  • VCM75130 · Future changes to the conditions
  1. Share loss relief: individual and corporate claimants: individual claimants: type of company invested in: qualifying trading company: contents
  2. Share loss relief: individual and corporate claimants: individual claimants: type of company invested in: qualifying trading company: the role of the concept

VCM74310 | Share loss relief: individual and corporate claimants: individual claimants: type of company invested in: qualifying trading company: the role of the concept

From HM Revenue & Customs · Venture Capital Schemes Manual

In the context of individual claimants, there are two broad classes of company whose shares may qualify for Share Loss Relief on disposal. The first is companies which are qualifying companies under the Enterprise Investment Scheme rules in ITA07/PT5 (or previously under ICTA88/CHP7/PT3). This part of the guidance does not explain the requirements of this class further: for details see the EIS guidance at VCM10000+.

The second class consists of companies which are ‘qualifying trading companies’. This part of the guidance gives details of the meaning of this term and how that meaning has changed over time. SEIS companies (see VCM30000+) are not automatically ‘qualifying trading companies’, though they may qualify as such if the conditions are satisfied.

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