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Contents

Official guidance
Venture Capital Schemes Manual

VCM91000 · CVS: investors and reliefs

  • VCM91010 · Introduction
  • VCM91020 · Advance clearance
  • VCM91030 · Statutory procedure
  • VCM91040 · Organisation of work
  • VCM91050 · Qualification period
  • VCM91060 · No material interest
  • VCM91070 · Material interest: connected persons and associates
  • VCM91080 · Material interest: indirect possession and entitlement to acquire
  • VCM91090 · Arrangements for reciprocal investment
  • VCM91100 · No control conditions
  • VCM91110 · Relevant preference shares
  • VCM91120 · Dividends of a pre-determined amount
  • VCM91130 · Non-financial activities requirement: general
  • VCM91140 · Non-financial activities requirement: single company: definition of non-financial trade
  • VCM91150 · Non-financial activities requirement: parent company
  • VCM91160 · Non-financial activities requirement: group company
  • VCM91170 · Substantial part
  • VCM91180 · Shares to be a chargeable asset
  • VCM91190 · Purpose of making the investment
  • VCM91200 · Investment relief: amount of
  • VCM91210 · Investment relief: how to claim
  • VCM91220 · Investment relief: time limit for claims
  • VCM91230 · Investment relief: examination of claims
  • VCM91240 · Reduction or withdrawal of relief
  • VCM91250 · Notification of breach of conditions
  • VCM91260 · Disposal of shares
  • VCM91270 · Reduction of relief on disposal
  • VCM91280 · Attribution of relief and identification of shares
  • VCM91290 · Effect of a grant of an option
  • VCM91300 · Receipt of value: general
  • VCM91310 · Receipt of value: circumstances
  • VCM91320 · Receipt of value: qualifying payments
  • VCM91330 · Receipt of value: insignificant value
  • VCM91340 · Receipt of value: replacement value
  • VCM91350 · Receipt of value: reduction of relief
  • VCM91360 · Repayment of share capital
  • VCM91370 · Withdrawal of investment relief: procedure
  • VCM91380 · Withdrawal of investment relief: time limits
  • VCM91390 · Withdrawal of investment relief: interest
  1. CVS: investors and reliefs: contents
  2. CVS: investors and reliefs: attribution of relief and identification of shares

VCM91280 | CVS: investors and reliefs: attribution of relief and identification of shares

From HM Revenue & Customs · Venture Capital Schemes Manual

FA00/SCH15/PARA45 & PARA93

Where in any accounting period investment relief is obtained for a single subscription for shares, the relief is to be attributed equally to each share. Where there is more than one subscription, the relief is first divided proportionately between the subscriptions. Thus if the corporation tax liability were insufficient to enable full relief to be obtained, whatever relief was obtained would be attributed to each subscription in proportion to the amounts subscribed.

A company which owns shares to which investment relief is attributable may also own other shares, of the same class, in the same company. Also, shares to which relief is attributable may have been acquired at different times. In either of these cases, if the company disposes of some of the shares only we need rules to identify the particular shares disposed of. The rules provided by the statute are as follows.

  • Where shares were acquired on different days, those acquired first are treated as disposed of first.

  • As regards shares acquired on the same day, shares to which no relief is attributable are treated as disposed of first, then shares to which investment relief only is attributable, and lastly shares to which both investment relief and deferral relief are attributable.

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