CIRD20405 - Reinvestment relief: groups of companies: general
Extension of reinvestment relief for groups of companies
»Ê¹ÚÌåÓýapp rules described in CIRD20000 onwards are extended for groups of companies as follows:
- a taxable credit on the realisation of an asset arising to one group member (or a capital gain which is not from a ‘chargeable intangible asset� - see CIRD20035) may qualify for reinvestment relief by virtue of expenditure on new assets by one or more other members of the same group (CIRD20410),
- relief may also be available where the reinvestment takes the form of the acquisition of a controlling interest in a company already holding chargeable intangible assets (CIRD20420),
- the exclusion of credits on deemed realisations from the relief is subject to an exception where the deemed realisation arises by virtue of the degrouping provisions (CIRD20460),
- reinvestment relief is also available where an election is made to reallocate the taxable credit on degrouping to another group member (CIRD20470),
- reinvestment relief is available in circumstances parallel to (c) and (d) above where, under the CG degrouping rules, a charge arises in respect of goodwill or an intangible asset which is outside CTA09/PART8 (CIRD20480).
A group of companies for this purpose follows the definition described in CIRD40030 onwards (taken from the CG rules).
»Ê¹ÚÌåÓýapp extensions to reinvestment relief listed above all have their equivalents in the CG roll-over relief code with the exception of (b), the facility to look through the acquisition of shares in a company to its underlying assets.