Part 4 of 4
This is the Finance Act 2018 version of this article. It is relevant for candidates sitting the ATX (UK) exam in the period 1 June 2019 to 31 March 2020. Candidates sitting ATX (UK) after 31 March 2020 should refer to the Finance Act 2019 version of this article (to be published on the ACCA website in 2020).
In this final part of this article we will complete our review of the fundamental technical issues.
9. Corporation tax – distinguishing a company from its trade/business
A company is a legal entity that is owned by its shareholders and managed by its directors. It will use its resources to trade and/or carry out investment activities. The trade/business carried on by a company is separate from the legal entity that is the company.
When a company sells its business (often described as its trade and assets) there may be chargeable gains in the company on each of the assets sold. The sales proceeds will be in the company and rollover relief may be available. The company can then acquire a new business or use the proceeds of sale to acquire investments.
When a company’s shareholders make a disposal of shares in the company they will realise a chargeable gain or loss on the sale. However, the company’s activities carry on as normal: a corporation tax computation will be required by reference to its accounting period as set out above, and so on.
Before you begin answering a question, make sure you are clear as to the transactions that have taken place, or are to take place in the future, such that you address the appropriate implications.
10. Corporation tax – groups of companies
The definitions of a group for the purposes of group relief and chargeable gains are not the same.
The gains group definition tends to be the most problematic as it refers to both 75% and 50%. The direct ownership must be at least 75%. In addition, the principal company (that is the company at the top of the group) must have an effective ownership of more than 50% in each of the companies in the group.