EIM47201 - Pt 7A ITEPA 2003: Close Company Gateway (CCG): introduction
Pt 7A ITEPA 2003 Section 554AA
Section 554AA details the provisions of the close company gateway (CCG). The schemes which these provisions are designed to counter involve share-holding employees or directors of companies who decide to extract funds from their companies via a third party. The company has to pass value in specified ways to a third party and a relevant step has to then be taken. For a charge to tax to exist, the following criteria need to be satisfied:
- there has to be a relevant arrangement which wholly or partly covers or relates to an employee (바카라 사이트A바카라 사이트) 바카라 사이트 EIM47205
- it is reasonable to suppose that the arrangement is wholly or partly concerned with providing what are known as A-linked payments, benefits or loans 바카라 사이트 EIM47210
- a close company (바카라 사이트B바카라 사이트) has to enter into a relevant transaction 바카라 사이트 EIM47215
- it must be reasonable to suppose that the relevant transaction is entered into in pursuance of the relevant arrangement mentioned above or there has to be a connection between the two 바카라 사이트 EIM47220
- at the time B enters into the relevant transaction or at any time in the 3 year period leading up to the date of the relevant transaction, A is a director or employee of B 바카라 사이트 see EIM47225
- for the same dates and period, A must at some time have held a material interest in B 바카라 사이트 see EIM47225
- a relevant step is taken by a relevant third person 바카라 사이트 EIM47235
- it must be reasonable to suppose that the sum of money or asset which is the subject of the relevant step represents or has arisen or been derived from the sum of money or asset which was the subject of the relevant transaction or vice versa 바카라 사이트 EIM47235
- at some time between or around the times of the associated relevant transactions and relevant steps, a main purpose of the relevant arrangement has to be the avoidance of income tax, NIC, corporation tax or a charge to tax under section 455 CTA 2009
The concepts described above are more fully detailed in the following paragraphs.