SAIM10060 - Relief for interest paid: interest in excess of a reasonable commercial rate
Interest paid in excess of a reasonable commercial rate
This guidance applies to interest paid on or after 9 October 2007Section 384 was amended by paragraph xxx of Schedule yyy to
Finance Act 08 to counter avoidance arrangements which relied on
‘front-loading’ the interest payable on a loan.
In such arrangements the full amount of the interest payable
during the term would typically be charged and paid within a short
time of the commencement of the loan. The amount of interest relief
claimed in the first year would therefore be far higher than the
amount normally claimed on a loan due to this
’front-loading’.
The amended ITA07/S384 counters this by denying the interest
relief available to the extent that it
‘exceeds a reasonable commercial amount
of interest on the loan for the relevantperiod’
For guidance on ‘reasonable commercial amount of
interest’ refer to
SAIM10090.
The
‘relevant period’ is either
the tax year if the loan has existed throughout the year, or the
amount of time in the tax year that the loan is in existence.
The rate of interest paid in the year is calculated by
looking at the interest paid from the beginning of the tax year, or
the date the loan started (if later), to the end of the current tax
year, or to the date in the tax year the loan finished. This
calculation only looks backwards, any interest due to be paid in
any following period is ignored.
The calculation adds the interest paid in the current year
to the amount of interest relieved in previous periods and
calculates the interest over the period the loan has existed to
date.
Only interest
relieved in previous periods is considered here.
So if we are considering the interest paid in year 2 of a loan and,
say, £10,000 interest was paid in year 1 of which only
£2,000 attracted relief, then only £2,000 is added to the
interest paid in year 2 for the purposes of the calculation.
