VCM25170 - EIS: income tax relief: connection with the company: reciprocal arrangements

ICTA/S291B (5); ITA/S171

An individual is connected with a company if he or she, whether alone or together with any associate (see VCM25200 onwards), subscribes for the company's shares as part of any arrangement which provides for another person to subscribe for shares in another company with which that individual, or any other individual who is a party to the arrangement, is connected within the meaning of VCM25050 to VCM25160. This provision would apply, for example, where A, B and C own the companies A Ltd, B Ltd and C Ltd respectively, and A subscribes for shares in B Ltd, B in C Ltd and C in A Ltd. If there is reason to believe that such an arrangement exists, under ICTA/S310 (5) or ITA/S243 any person concerned can be required to give information about it.