Capital gains treatment of capital contributions
The Special Commissioners held on 7 February 2007 in The Trustees of the FD Fenton Will Trusts v HMRC [2007] UKSPC SPC00589 that a contribution to the capital of a Delaware company by its UK resident sole shareholder was not deductible expenditure for capital gains purposes.
The case concerned an investment by UK resident trustees in a company incorporated in the…
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