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Legislation
Corporation Tax Act 2009

Crossheading Deeply discounted securities: connected companies and close companies

  • Section 406 Introduction
  • Section 407 Postponement until redemption of debits for connected companies' deeply discounted securities
  • Section 408 Companies connected for section 407
  • Section 409 Postponement until redemption of debits for close companies' deeply discounted securities
  • Section 410 Exceptions to section 409
  • Section 411 Interpretation of section 409
  • Section 412 Persons indirectly standing in the position of creditor
  1. Deeply discounted securities: connected companies and close companies
  2. Postponement until redemption of debits for close companies' deeply discounted securities

Section 409 | Postponement until redemption of debits for close companies' deeply discounted securities

From legislation.gov.uk

(1)This section applies for any accounting period (“the relevant period”) if—

(a)a debtor relationship of a close company (“the issuing company”) is represented by a deeply discounted security it has issued,

(b)at any time in the period there is a person ("C") who stands in the position of a creditor as respects the security and is—

(i)a participator in the issuing company,

(ii)an associate of such a participator,

(iii)a company of which such a participator has control,

(iv)a person who controls a company which is such a participator,

(v)an associate of a person within sub-paragraph (iv), or

(vi)a company controlled by a person within sub-paragraph (iv),

(c)the period is not the accounting period in which the security is redeemed, and

(d)this section is not disapplied by section 410

and, where it applies, the non-qualifying territory condition is met.

(2)The debits which are to be brought into account for the purposes of this Part by the issuing company in respect of the loan relationship are to be adjusted so that debits relating to the amount of the discount that is referable to the relevant period (“relevant debits”)—

(a)are not brought into account for the relevant period, but

(b)are brought into account for the accounting period in which the security is redeemed.

(3)If there is a person within subsection (1)(b) for only part of the relevant period, subsection (2) applies only to the appropriate proportion of the relevant debits.

(4)In subsection (3) “the appropriate proportion” means the proportion that the part of the relevant period for which there is such a person bears to the whole of that period.

(5)The amount of the discount that is referable to the relevant period is the amount of it which would be brought into account for the purposes of this Part for the relevant period in the case of the issuing company, apart from subsections (2) and (3).

(6)For the meaning of other expressions used in this section, see—

(a)section 411 (interpretation of this section), and

(b)section 412 (persons indirectly standing in the position of creditor).

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