CTM08040 - Corporation Tax: management expenses: investment company: with investment business
ICTA88/S130 for periods from 1 April 2004
From 1 April 2004 the term 'investment company' is only
applicable in limited circumstances (
CTM08020). From that date management
expenses are available to any 'company with investment business'.
This is defined in the legislation as:
'…any company whose business consists wholly or partly
in the making of investments’.'
This is a relaxation of the previous provisions where a
company had to have a business that consisted wholly or mainly in
the making of investments. The investment income requirement (i.e.
that the principal part of the income had to be from investments)
has also been dropped.
More companies should therefore be able to claim relief for
the expenses of managing their investments. In particular,
companies which previously had an investment business but could not
claim relief for managing that investment business because they had
a substantial trade which meant that they could not meet the wholly
or mainly requirement (for example so-called hybrid companies).
But sums, which are otherwise deductible in computing
profits, continue to be excluded from expenses of management.
The 'making of investments' is part of the old legislation
and the Courts have considered its meaning. It will retain the same
meaning under the new legislation (see
CTM08050).
