We are celebrating this festive time of year with a Christmas Selection Box of different tax reliefs and exemptions. As it is the time for giving and sharing, we hope that our "Box" will save you pounds rather than adding them!

C-H-R-I-S-T-M-A-S

S is for share for share exchange and reconstruction reliefs.

You can reorganise or separate company activities and different subsidiaries using a variety of different methods.

FAQs: Reorganisations and share exchanges

I cannot use a statutory demerger to split out my trading company as there is a sale in prospect. What are my options?

You should consider a liquidation demerger or a capital reduction demerger. See Case study 4 in our reorganisations zone.

What are the simplest options for a management buyout? 

The four simplest options are generally: 

  1. Management buyout using a holding company. See Case Study 5: Management Buyout: via new holdco
  2. Company sale of trade to manager followed by a liquidation of company to return capital to existing shareholders
  3. Purchase of own shares by the company. See Case Study 6: POS: buyout retiring shareholder
  4. Share purchase by manager from shareholders on a personal basis.

How do I form a group without having to pay any tax?

See Case Study 7: Creating a group

 

Our selection box so far...

C - H - R - I - S - T M A S

Useful resources for subscribers:

Demergers: what are your options?

Management Buyout: what are your options?

Stamp duty: share for share exchanges

Selling the business: where do I start?

Exit strategies: Index

At a glance:

An Index to Reorganisations and Demergers

Entrepreneurs' Relief