In Gerard Arthur Eccles v HMRC [2019] TC6978,  the first tier tribunal held that tax relief for a payment under a personal guarantee may only be made in the tax year in which it was paid.

On appeal, the taxpayer argued that:

The tribunal disagreed: an allowable loss accrues “when the payment is made”. The law was clear that the loss arose when the payment was made.

Our guides

CGT Loans to Traders
If a UK resident individual or company makes a loan to another taxpayer and it becomes irrecoverable, capital loss relief may be available under s253 TCGA 1992 (relief for loans to traders). 

Loss relief (income tax) disposal of shares
If the asset consists of shares subscribed for in a private or AIM listed company or EIS or SEIS company, the loss (as calculated for CGT) may alternatively be claimed against income

External links

Gerard Arthur Eccles v HMRC [2019] TC6978