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Legislation
Corporation Tax Act 2009

Crossheading Exempt classes: anti-avoidance

  • Section 931J Schemes involving manipulation of controlled company rules
  • Section 931K Schemes involving quasi-preference or quasi-redeemable shares
  • Section 931L Schemes involving manipulation of portfolio holdings rule
  • Section 931M Schemes in the nature of loan relationships
  • Section 931N Schemes involving distributions for which deductions are given
  • Section 931O Schemes involving payments for distributions
  • Section 931P Schemes involving payments not on arm's length terms
  • Section 931Q Schemes involving diversion of trade income
  1. Exempt classes: anti-avoidance
  2. Schemes involving quasi-preference or quasi-redeemable shares

Section 931K | Schemes involving quasi-preference or quasi-redeemable shares

From legislation.gov.uk

(1)This section applies to a dividend or other distribution that would, apart from this section, fall into an exempt class by virtue of section 931F.

(2)The distribution does not fall into an exempt class by virtue of that section if—

(a)the distribution is made as part of a scheme the main purpose, or one of the main purposes, of which is to secure that distributions of the payer received by the recipient fall into an exempt class by virtue of that section, and

(b)the following condition is met.

(3)The condition is that the distribution is made in respect of a share that—

(a)would not be an ordinary share, or

(b)would be redeemable,

were the rights under the scheme of each relevant person to be attached to the share.

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