Loan Relationship Rules & Corporation Tax - Live at Your Desk
Introduction
This virtual classroom session will look at the loan relationship rules, starting first with a brief reminder of the key principles before moving on to more advanced concepts.
What You Will Learn
This live and interactive session will cover the following:
- Intra-group transfers
- Special rules for connected parties
- De-grouping charges on assigned loans
- The ‘unallowable purpose’ anti-avoidance rules
- The regime wide anti-avoidance rule
- Review of the cases on loan relationships
- The corporate interest restriction
Recording of live sessions: Soon after the Learn Live session has taken place you will be able to go back and access the recording - should you wish to revisit the material discussed.