Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Venture Capital Schemes Manual

VCM90100 · CVS: general

  • VCM90110 · Introduction
  • VCM90120 · The shares
  • VCM90130 · Employment of money raised
  • VCM90140 · Employment of money raised: time limits
  • VCM90150 · Issuing arrangements
  • VCM90160 · Purpose of issuing shares has to be commercial
  • VCM90170 · Qualifying issuing companies: qualification period
  • VCM90180 · Qualifying issuing companies: to be unquoted
  • VCM90190 · Qualifying issuing companies: to be independent
  • VCM90200 · Qualifying issuing companies - independent individuals rule
  • VCM90210 · Qualifying issuing companies: partnerships and joint ventures
  • VCM90220 · Qualifying issuing companies: qualifying subsidiaries
  • VCM90230 · Qualifying issuing companies: gross assets
  • VCM90240 · Qualifying issuing companies: restrictions on amount raised
  • VCM90250 · Qualifying issuing companies: restrictions on numbers of employees
  • VCM90260 · Qualifying issuing companies: trading activities requirement
  • VCM90270 · Qualifying issuing companies: liquidation and receivership
  • VCM90280 · Qualifying issuing companies: qualifying trades
  1. CVS: general: contents
  2. CVS: general: qualifying issuing companies: liquidation and receivership

VCM90270 | CVS: general: qualifying issuing companies: liquidation and receivership

From HM Revenue & Customs · Venture Capital Schemes Manual

FA00/SCH15/PARA24

If:

  • a resolution is passed, or an order is made, for the winding up of the company (or any act is done for the same purpose),

or

  • the company is dissolved without winding up,

the company cannot be regarded as continuing to exist for the purpose of carrying on a trade.

Similarly, if a company goes into administration or receivership, the actions of the administrator or receiver may have the same result.

Nevertheless, such a company is to be treated as continuing to exist for the purpose of carrying on a trade provided the winding up or dissolution, or the actions of the administrator or receiver, are for genuine commercial reasons, and not part of an arrangement for avoiding tax.

PreviousNext
PrivacyTerms