GIM8150 - Reinsurance and other forms of risk transfer: tax issues: transactions between connected persons: parent funding subsidiary
A parent may also put additional finance into its subsidiary
by entering into a stop-loss reinsurance treaty (
GIM8090).
This may be done initially for non-tax reasons. If the
subsidiary's solvency margins or capital requirements are based on
exposure net of reinsurance the parent does not need to put so much
capital into the subsidiary. There may also be a hidden subsidy if
the premium charged is less than the arm's length rate. The
difficulty here is that stop-loss protection on the scale needed is
difficult to obtain in the open market, so both sides may
experience problems in finding comparable unconnected transactions.
An independent underwriter would use a methodology known as
“burning cost” in such situations. Intra-group
stop-loss arrangements are all the more suspicious when they are
entered into after the subsidiary has incurred substantial losses,
in which case there are grounds for refusing a deduction for any
amounts paid under ICTA88/S74 (1)(e). In the past most such cases
have been settled on transfer-pricing lines.
