½Û×ÓÊÓÆµ

Home / Simons-Taxes /Corporate tax /Part D3 Close companies /Division D3.4 Implications of close company status /Implications of close company status—overview / D3.401 Outline of the key implications of close company status
Commentary

D3.401 Outline of the key implications of close company status

Corporate tax

For updates affecting this Division please see Part D0 Updates

Implications of close company status—overview

D3.401 Outline of the key implications of close company status

Due to the potentially very limited ownership and control of companies that are close, there are several targeted anti-avoidance provisions aimed at preventing manipulation of the tax rules. The fundamental aim of all these provisions is to prevent participators enjoying the use of the income of a close company free of tax, so special rules apply if:

  1. Ìý

    •ÌýÌýÌýÌý a close company makes a loan/advance to a participator – there may be a charge to tax unless the loan is repaid within nine months of the end of the chargeable period (see D3.401D)

  2. Ìý

    •ÌýÌýÌýÌý a

To continue reading
View the latest version of this document, as well as thousands of others like it, sign in to Tolley+™ Research or register for a free trial

Web page updated on 17 Mar 2025 17:44