Share is defined in FA02/SCH26/PARA12(12), in relation to any
company, as any share in the company under which an entitlement to
receive distributions may arise.
Distribution is not specifically defined in Sch 26 and
therefore takes its meaning from ICTA88/S832(1) - so you need to
look primarily at ICTA88/S209 to find out what is a distribution.
Fixed-rate preference shares, for example, give an entitlement to
receive distributions and are therefore an excluded subject matter.
On the other hand, shares which only give the holder a right to
receive capital distributions in a winding-up will not be excluded.
This is because ICTA88/S209(1) says that such capital distributions
are not distributions for the purposes of the Taxes Acts.
A building society share is not a share for the purposes of
Sch 26. This is because ICTA88/S477(3) says that dividends or
interest payable on a building society share are not distributions
- so no "entitlement to distributions" can arise on such shares.
The definition of “share” is extended for periods
of account beginning on or after 1 January 2005 and ending on or
after 16 March 2005. For such periods:
Shares are not an excluded subject matter if the relevant
contract is held for the purposes of a trade (see
CFM13131). Nor is an embedded
derivative, which is treated as a relevant contract by
FA96/S94A(2)(b) (see
CFM13074), prevented from being a
derivative contract by having shares as its subject matter. There
are also certain other circumstances in which shares are not an
excluded USM -
CFM13122 summarises these, and
CFM13130 onwards give details.
See examples at
CFM13104a
The general exclusion of shares as an underlying subject matter was removed by SI 2005/646, with effect from 16 March 2005. More detailed guidance is at CFM13108.