CTM08210 - Corporation Tax: management expenses: avoidance and unallowable purpose: general
Anti-avoidance provisions have been introduced to the management
expenses regime in two stages, FA04 and FA07. FA04 introduced an
unallowable purpose rule which considered the purpose for which
investments were held. This has been expanded by FA07 so that
holding investments for the purposes of avoidance is not a business
or commercial purpose of the company and related expenses cannot
therefore be expenses of management. (CTM08220)
FA07 has also introduced a targeted anti-avoidance rule
(TAAR). This does not look at the purpose of holding the
investments, rather where a company enters into arrangements where
the main or one of the main purposes of the arrangements is the
avoidance of tax, then expenditure incurred will not be expenses of
management within the meaning of Section 75 (CTM08230+).
