³ÉÈËÓ°Òô

BPR ― application to groups of companies

Produced by a Tolley Trusts and Inheritance Tax expert
Trusts and Inheritance Tax
Guidance

BPR ― application to groups of companies

Produced by a Tolley Trusts and Inheritance Tax expert
Trusts and Inheritance Tax
Guidance
imgtext

This guidance note explains how BPR applies to holding companies and to groups of companies. Without special provision, a holding company would not qualify for BPR as it is not in its own right a trading company and this guidance note covers how and when a holding company will qualify. It also considers the approach to be taken to a group scenario when assessing the BPR status of a shareholding. This covers the assessment of the trading status of the group first and then of each individual subsidiary. If a subsidiary is not a trading company in its own right then its value is disregarded. It consolidates and links to the guidance in this area, much of which is included in various correspondence between HMRC and the professional bodies.

Basic principles

Unquoted shares, quoted shares or securities from a controlling holding or unquoted securities from a controlling holding fall into the categories of property which can qualify for BPR. See the BPR ― relevant business property guidance note for further information.

However,

Access this article and thousands of others like it
free for 7 days with a trial of Tolley+™ Guidance.

Powered by

Popular Articles

Loans provided to employees

Loans provided to employeesEmployers sometimes provide their employees with loans, sometimes charging interest and often not, either as part of the reward package or to help the individual meet significant expenditure. For example, it is common to provide loans for the purchase of annual travel

14 Jul 2020 12:11 | Produced by Tolley Read more Read more

Payment of the remittance basis charge

Payment of the remittance basis chargeRemittance basis chargeThe remittance basis charge is an annual charge payable by ‘long-term’ UK residents for the privilege of claiming the remittance basis.Taxpayers who wish to utilise the remittance basis (but do not qualify for it automatically) must pay

14 Jul 2020 12:52 | Produced by Tolley Read more Read more

Interest on late paid tax

Interest on late paid taxIntroductionInterest on late paid tax is a compulsory charge set out in legislation to reflect the interest which would have accrued to the Exchequer had the correct amount of tax been paid at the right time.Harmonised legislation was introduced in 2009 to:•set statutory

14 Jul 2020 12:00 | Produced by Tolley in association with Philip Rutherford Read more Read more