Practical Tax Solutions for Family Company/Group Reorganisations with Philip Ridgway
Introduction
Join expert speaker Philip Ridgway as he explores practical approaches to group reorganisations, focusing on two commonly used methods:
- Section 110, Insolvency Act 1986 Reconstructions
- Section 213, ICTA 1988 Demergers
Using real-world examples, Philip will highlight how these mechanisms can help clients navigate shareholder disputes, raise external finance, or respond to offers for the family business.
This highly interactive seminar will explore the strategic use of tax reliefs to maximise shareholder value, common pitfalls to avoid during reorganisations, and relevant company law considerations.
Ideal for tax and legal advisors involved in corporate restructuring, this seminar combines technical insight with practical application to enhance confidence and improve client outcomes.
What You Will Learn
This course will cover the following:
- The commercial rationale to reorganise
- Building blocks - a detailed examination of the relevant statutory provisions
- Section 110, IA 1986 Reconstructions - reorganisations, partitions and other variants, including liquidating the holding company and using a conduit company to avoid liquidating a holding company
- An examination of HMRC clearances
- Section 213, ICTA 1988 Demergers
- Recent case law