SCHEDULES

SCHEDULE 2Qualifying asset holding companies

PART 7Treatment of certain amounts payable by a QAHC

47Purchase of own shares

1

A payment made by a QAHC on the redemption, repayment or purchase of its own shares is not a distribution for the purposes of the Corporation Tax Acts.

2

But sub-paragraph (1) does not apply to payments in relation to qualifying employment-related securities.

3

Qualifying employment-related securities” means employment-related securities acquired by a person, other than a fund manager in relation to the QAHC, where the right or opportunity to acquire the securities or interest is available by reason of an employment of that person or any other person by—

a

the QAHC, or

b

a company in which the QAHC has at least a 25% interest.

4

To determine for the purposes of sub-paragraph (3)(b) whether a QAHC has at least a 25% interest in a company, apply the rules for determining whether a company is a 75% subsidiary of another company for the purposes of Part 5 of CTA 2010 (see section 151 and Chapter 3 of Part 24 of that Act) as if references to “75%” were to “25%”.

5

In this paragraph—

  • employment-related securities” has the meaning given by section 421B of ITEPA 2003;

  • fund manager”, in relation to a QAHC, means an individual who provides investment management services in relation to the QAHC ring fence business of the QAHC;

  • own shares”, in relation to a company, means shares of the company.