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If you have received a dividend during a company liquidation since 6 April 2016 it is vital to check the TAAR conditions before you submit your tax return to HMRC. The Targeted Anti-Avoidance Rule (TAAR) applies to certain distributions on winding up. If the TAAR applies, dividends received on the liquidation of your company do not automatically attract CGT treatment, instead they are taxed as normal income dividends. 

The TAAR specifically targets the practice of 'phoenixing' a company to avoid tax.

The TAAR must be considered each time a distribution is made during the winding up process.

As a former shareholder or even director, it is highly likely that HMRC will deed you to be careless if you fail to check the rules. The Transactions In Securities rules may also need to considered in respect of distributions made during a winding up.

 Useful guides

Ceasing Trading: start here

TAAR: tax on distributions on winding up


TAAR for Beta Testers

The TAAR legislation is complicated. It took one leading writer the lenght of four articles to cover the new rules. We of course have a written our own guide to the TAAR. If you are short of time and to assist you further, our Virtual Tax Partner service has created a TAAR tool which takes all the pain out of checking this important rule. If you are a subscriber to www.rossmartin.co.uk we invite you to beta test the new tool. We estimate that this tool will save the average non-tax-specialist somewhere between around three to fours hours of research time. To join please raise a support ticket on www.VtaxP.co.uk with TAAR tool in the header. This is free of charge, as we are testing.