Finance Act 2022 has introduced a new regime for qualifying asset holding companies (QAHCs). The new regime, which came into force on 1 April 2022, offers qualifying companies a wide range of tax benefits, broadly intended to ensure that investors are taxed no less favourably than had they invested in the underlying assets directly. Although the policy intention behind the new regime was primarily designed to benefit alternative investment holding structures, it offers significant benefits and is expected to be attractive to a wide range of investors and holding structures. The reforms are part of a wider and ongoing drive by the UK government to allow the UK to compete with other, more established, holding company jurisdictions in a post-Brexit environment.
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Finance Act 2022 has introduced a new regime for qualifying asset holding companies (QAHCs). The new regime, which came into force on 1 April 2022, offers qualifying companies a wide range of tax benefits, broadly intended to ensure that investors are taxed no less favourably than had they invested in the underlying assets directly. Although the policy intention behind the new regime was primarily designed to benefit alternative investment holding structures, it offers significant benefits and is expected to be attractive to a wide range of investors and holding structures. The reforms are part of a wider and ongoing drive by the UK government to allow the UK to compete with other, more established, holding company jurisdictions in a post-Brexit environment.
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