BAILII is celebrating 24 years of free online access to the law! Would you consider making a contribution?
No donation is too small. If every visitor before 31 December gives just £1, it will have a significant impact on BAILII's ability to continue providing free access to the law.
Thank you very much for your support!
[Home] [Databases] [World Law] [Multidatabase Search] [Help] [Feedback] | ||
First-tier Tribunal (Tax) |
||
You are here: BAILII >> Databases >> First-tier Tribunal (Tax) >> Kwik-Fit Group Ltd v Revenue & Customs (CORPORATION TAX - loan relationships) [2021] UKFTT 283 (TC) (11 August 2021) URL: http://www.bailii.org/uk/cases/UKFTT/TC/2021/TC08226.html Cite as: [2022] SFTD 193, [2021] UKFTT 283 (TC), [2021] STI 2057 |
[New search] [Contents list] [Printable PDF version] [Help]
Decision Number: | TC 08226 |
Appellant: | Kwik-Fit Group Limited |
Respondent: | The Commissioners for Her Majesty's Revenue & Customs |
Chairmen / Special Commissioners: |
Jeanette Zaman |
Date Of Decision: | 11/08/2021 |
Main Category: | PROCEDURE |
Main Subcategory: | Other |
Notes: | CORPORATION TAX - loan relationships - unallowable purpose test - intra-group reorganisation enabled acceleration of use of non-trading loan relationship deficit - Appellants agreed to increase rate of interest on loans - whether Appellants were party to loan relationships for an unallowable purpose - held yes - consideration of amount of debit attributable to that unallowable purpose on a just and reasonable basis - appeal allowed in part |