CFM17110 – Stock loans: anti-avoidance - deemed payment of interest on cash collateral where no interest is paid, or interest paid is not at a reasonably comparable deposit rate
Anti-avoidance provisions for deeming interest on cash collateral
The lender of securities in a stock lending arrangement will
usually require collateral from the borrower in the stock lending
arrangement in the form of other securities or cash, to guard
against the default of the borrower in respect of the original
stock loan.
In a normal commercial stock loan manufactured payments are
made by the stock lender to return any dividends or interest income
received on securities while held as collateral to the stock
borrower. Similarly, in a normal commercial stock loan the lender
is required to put any cash collateral on deposit and the interest
arising is paid over to the borrower.
Anti-avoidance rules at ICTA88/S736B (see
CFM17105) counter avoidance schemes
where stock lending arrangements are entered into without any
provision for manufactured payments on securities, including the
securities held as collateral, by invoking deemed manufactured
payments in these circumstances.
Further avoidance schemes have arisen that sidestep
ICTA88/S736B. These involve the stock borrower acquiring securities
that will pay dividends that are either non-taxable or taxable at a
lower rate than interest income and supplying collateral wholly in
cash, on which no interest is payable or interest is returned at
less than a reasonably comparable deposit rate. The effect of this
is that the original stock loan borrower has substituted a non
taxable (or lowly taxed) dividend income stream arising from the
securities borrowed, in place of an existing taxable income stream
of interest from cash deposits.
To counter this type of arrangement ICTA88/S736C has been
introduced for stock lending arrangements entered into on or after
5 December 2005. It provides that where:
- ICTA88/S736B applies to a borrower in a stock lending arrangement (no manufactured payments made)
- cash collateral is payable to the lender as security for the stock borrowed
- the stock lending arrangement is designed to produce a return to the borrower that equates to investment of money at interest
- the main purpose, or one or the main purposes of the stock loan is to obtain a tax advantage
then the borrower in the stock loan arrangement is deemed to
receive an amount or interest on the cash collateral calculated in
accordance with subsections (3) to (7).
The deemed interest payable to the borrower is at a rate
reasonably comparable to a rate the borrower could obtain by
placing the cash collateral on deposit for the interest period and
is reduced (but not below nil) by any interest which the borrower
actually receives in respect of the collateral for the interest
period. Small amounts of interest are often paid in these
arrangements to top up the income cash flows from dividends
retained by the stock loan borrower to commercial levels of return.
Where the amount of cash collateral provided is variable,
interest is computed on the highest amount of cash collateral
provided at any time during the period of the stock loan.
The effect of ICTA88/S736C is to put the stock loan borrower
back in the same economic position as it would be if the usual
commercial stock loan arrangements for rebate of interest on cash
collateral had been followed. The borrower receives a taxable
income stream of interest on cash at a rate comparable to deposit
rates for the duration of the stock loan.
