Part 13U.K.Tax avoidance

Chapter 1U.K.Transactions in securities

Circumstances in which income tax advantages obtained or obtainableU.K.

690Receipt of assets of relevant company (circumstance E)U.K.

(1)This section applies in relation to a person if subsections (2) to (4) and (7) apply.

(2)The person receives consideration in connection with—

(a)the direct or indirect transfer of assets of a relevant company (see section 691) to another such company, or

(b)any transaction in securities in which two or more relevant companies are concerned.

(3)The consideration is or represents the value of assets which—

(a)are available for distribution by way of dividend by a relevant company,

(b)would have been so available apart from anything done by the company, or

(c)are trading stock of a relevant company.

(4)The consideration consists of any share capital or any security issued by a relevant company.

(5)So far as subsection (4) relates to share capital other than redeemable share capital, it applies only so far as the share capital is repaid (in a winding up or otherwise).

(6)The reference in subsection (5) to the repayment of share capital includes a reference to any distribution made in respect of any shares in a winding up or dissolution of the company.

(7)The person does not pay or bear income tax on the consideration (apart from this Chapter).

(8)In this section—

(a)references to the receipt of consideration include references to the receipt of any money or money's worth,

(b)security” has the meaning given in section 254(1) of ICTA (interpretation of Part 6 of ICTA: company distributions, tax credits etc), and

(c)share” includes stock and any other interest of a member in a company.