We are currently in the process of reorganising the structure of our Group, whereby we wish to sell one company wholly owned by a holding company, which in turn is owned itself by another holding company (Ultimate Holding Company) to another trading company owned by the Ultimate Holding Company. Can someone please explain the mechanics of how this should be constructed in the most tax efficient way?
Replies (4)
Please login or register to join the discussion.
Are all of the companies concerned (HCo, UHCo, vendor, purchaser, target) all UK resident? If so, it should be relatively straightforward, but the devil will be in the detail.
Nobody can properly advise on any sort of group reorganisation on an internet forum.