C3C1C2Part 23Distributions

Annotations:
Modifications etc. (not altering text)
C3

Pts. 1-39 modified (31.12.2020) by Regulation (EC) No. 2157/2001, Art. AAA1(3) (as inserted by The European Public Limited-Liability Company (Amendment etc.) (EU Exit) Regulations 2018 (S.I. 2018/1298), regs. 1, 97 (with regs. 140-145) (as amended by S.I. 2020/523, regs. 1(2), 5(a)-(f)); 2020 c. 1, Sch. 5 para. 1(1))

Chapter 2Justification of distribution by reference to accounts

Justification of distribution by reference to accounts

I1836Justification of distribution by reference to relevant accounts

1

Whether a distribution may be made by a company without contravening this Part is determined by reference to the following items as stated in the relevant accounts—

a

profits, losses, assets and liabilities;

b

provisions of the following kinds—

i

where the relevant accounts are Companies Act accounts, provisions of a kind specified for the purposes of this subsection by regulations under section 396;

ii

where the relevant accounts are IAS accounts, provisions of any kind;

c

share capital and reserves (including undistributable reserves).

2

The relevant accounts are the company's last annual accounts, except that—

a

where the distribution would be found to contravene this Part by reference to the company's last annual accounts, it may be justified by reference to interim accounts, and

b

where the distribution is proposed to be declared during the company's first accounting reference period, or before any accounts have been circulated in respect of that period, it may be justified by reference to initial accounts.

3

The requirements of—

  • section 837 (as regards the company's last annual accounts),

  • section 838 (as regards interim accounts), and

  • section 839 (as regards initial accounts),

must be complied with, as and where applicable.

4

If any applicable requirement of those sections is not complied with, the accounts may not be relied on for the purposes of this Part and the distribution is accordingly treated as contravening this Part.