°Ç¸ç³Ô¹Ï

Skip to main content
HMRC internal manual

Corporate Finance Manual

CFM96810 - Interest restriction: joint ventures: interest allowance (non-consolidated investment) election: example 4: transparent JV

This has the same amount as the example in CFM96750 but in this case the JV is 'transparent' for tax purposes - for example it is a partnership.   X plc makes an interest allowance (non-consolidated investment) election.

AccountsX plc JVX plc Group
Operating profit100150100
3rd party interest expense (QNGIE)- 50- 60- 50
Share of profits of JV--45
Profit before tax509095
  • X plc share of profits from JV - 50%
Calculation of  QNGIEX plc
QNGIE in X plc50
Share of JV QNGIE30
Total QNGIE (A)80
Calculation of group-EBITDAX plc
Group-EBITDA of X plc group145
Reduction in group-EBITDA from JV profits- 45
Share of JV's group-EBITDA75
Group-EBITDA  - (B)175
Group ratio ( A/B)46%
Interest allowanceX plc
Tax-EBITDA of X plc (including its share of the JV's taxable profits before interest)175
X plc group ratio46%
Interest allowance80
Net tax-interest expense of X plc (including its share of the 60 interest expense of the transparent JV)80
Less interest allowance- 80
Restriction-

The group ratio of X plc of 46% is the same as in example CFM96780. As the JV is transparent for tax purposes, X plc includes its share of the profits and net tax interest expense of JV in its tax figures. Therefore tax-EBITDA of X plc is 175 (100 + 50% of 150).  The interest allowance is 80 which is equal to the net tax-interest expense in the X plc group so there is now no restriction.