This guidance applies to periods of account beginning on or after 1 January 2005
Where in accordance with generally accepted accounting practice
a company accounts separately for the loan and the embedded
derivative, FA96/S94A mirrors that treatment for tax. The loan
element is treated as a loan relationship in its own right, and
taxed fully under the loan relationships rules.
In the example at
CFM16630a, the holder of a convertible
security divided the £1m purchase price as between:
The company treats the “host” as a simple loan, acquired at a discount of £52,487 to its £1million face value. It will accrue credits for the discount over the life of the security. The discount plus the 5 per cent interest receivable produce the overall effect of a return on lending of 7 per cent, equal to would have been required had the conversion option not been included. Similarly if the issuer/borrower uses separate accounting, it will accrue debits for the discount over the life of the security. As explained at CFM16630a the amount the issuer treats as “discount” may not exactly match that in the accounts of the corresponding creditor.
Because the above treatment accords with generally accepted accountancy practice, FA96/S85A brings the corresponding credits and debits into account for tax. For the holder, the discount credits are taxable loan relationships credits. For the issuer, if it uses separate accounting, the corresponding debits are relievable as loan relationships debits. These credits and debits are brought into account in addition to any interest payable under the terms of the security.
It should be noted that the accounts carrying value of the “host” loan is unaffected by any periodic changes in the value of the shares into which it may convert or exchange, or in the value of the linked assets. Where the company is required to recognise such changes, it will do so by periodically revaluing the embedded derivative. The resulting credits or debits are taxable separately under the derivative contracts tax rules in FA02/SCH26. Thus apart from the accruing discount and any changes in prevailing interest rates, the only factors potentially affecting the value of the loan relationship will be impairment losses, or the reversal of such losses.