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Legislation
Income Tax Act 2007

Crossheading Type 1 arrangements

  • Section 809BZA Type 1 finance arrangement defined
  • Section 809BZB Certain tax consequences not to have effect
  • Section 809BZC Payments treated as borrower's income
  • Section 809BZD Deemed interest if borrower is not a partnership
  • Section 809BZE Deemed interest if borrower is a partnership
  1. Type 1 arrangements
  2. Type 1 finance arrangement defined

Section 809BZA | Type 1 finance arrangement defined

From legislation.gov.uk

(1)For the purposes of this Chapter an arrangement is a type 1 finance arrangement if conditions A and B are met.

(2)Condition A is that under the arrangement—

(a)a person (“the borrower”) receives money or another asset (“the advance”) from another person (“the lender”),

(b)the borrower or a person connected with the borrower makes a disposal of an asset (“the security”) to or for the benefit of the lender or a person connected with the lender, and

(c)the lender or a person connected with the lender is entitled to payments in respect of the security.

(2A)For the purposes of subsection (2)(c) it does not matter if an entitlement of the lender or a person connected with the lender is subject to any condition.

(3)Condition B is that in accordance with generally accepted accounting practice—

(a)the borrower's accounts for the period in which the advance is received record a financial liability in respect of it, and

(b)the payments reduce the amount of the financial liability.

(4)If the borrower is a partnership the reference to the borrower's accounts includes a reference to the accounts of any member of the partnership.

(5)For the purposes of this section the borrower and the lender are not connected with one another.

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