Taxation logo taxation mission text

Since 1927 the leading authority on tax law, practice and administration

Beneficial payment

26 April 2016
Issue: 4547 / Categories: Tax cases

S Willey and North East Pipelines Ltd (TC4913).

Nature of payment by a company to a third party

W was a director and 100% shareholder of N Ltd. The company made a goodwill payment of £75 000 to HSBC to release a trading covenant. A deed of settlement and release between HSBC and the taxpayer showed that the payment had been made to release him from a guarantee and legal mortgages over two properties he owned personally. The mortgages and guarantee related to debts of SA Ltd a company of which W had been a director and 50% shareholder before forming N Ltd.

N Ltd claimed the payment should be allowed as a trading deduction as a loan relationship under CTA 2009 s 307. HMRC disagreed saying the payment was made by N Ltd to satisfy W’s pecuniary liability and should be treated as earnings under ITEPA 2003 s 62(2)(b).

The taxpayers appealed.

The First-tier...

Only subscribers may read the full article

Alternatively, you can register free of charge to read a limited amount of subscriber content per month.
Once you have registered, you will receive an email directing you back to read this item in full.
back to top icon