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What is an 'LLP' and what tax advantages does it have?

Limited liability partnerships ('LLP') were introduced in 2001 and offer a cross between a partnership and company structure. They were mainly introduced to offer large professional firms that trade as partnerships (accountants, lawyers, surveyors etc) the opportunity to benefit from limited liability, just as a company can.

Put simply an LLP is a partnership which provides the partners with the benefits of limited liability - thus ring fencing their personal assets from any potential business creditors (just like a company would).

Having said that, the LLP would be subject to the same asset protection limitations as a company would, and if for example the LLP was clearly being used for a fraudulent activity the courts wouldn't hesitate to look at the partners to make good any liabilities.

Partnership Structure

Although in general law an LLP is regarded as a 'body corporate' and is like a company, for tax purposes an LLP is normally treated as a 'partnership'.

Therefore an LLP will normally be regarded as transparent for tax purposes and each member/partner will be assessed to tax on their share of the LLP's income or gains as if they were members of a 'normal' partnership

Therefore if an LLP carries on a trade, each registered partner is taxable on the income they derive from the LLP as trading income.

This is a crucial difference from being a shareholder in a company. A company shareholder is regarded as a separate entity for both legal and tax purposes. An LLP however is a separate legal entity purely in legal terms.

Therefore a company shareholder is not (usually) taxed on the profits of the company, just the cash that is extracted from the company (either as salary/benefits or dividends). A member of an LLP is however taxed on his or her share of the profits that are generated by the partnership.

For a higher or additional rate taxpayer they would therefore pay 40% or 50% income tax on the LLP profits, whereas a company may pay corporation tax at a lower rate (20%/27.5%/26%%). The problem with a company would be that although the rate of corporation tax is lower than the LLP's income tax rate to get the cash out of the company a further tax charge may then be payable (25% on a dividend extraction from a company for a higher rate taxpayer or an effective 36.11% for an additional rate taxpayer).

It would therefore be only if either cash was retained in the company for business activities, if cash was extracted up to the higher rate tax band or if you were going to extract cash as a non UK resident, that a company could offer significant reduction in taxes on income generated.

Interest relief

In terms of interest relief, where an LLP carries on a trade, the members of the LLP who are individuals are entitled to claim interest relief on the loans they obtain in order to purchase a share in the partnership. There are additional conditions that would need to be satisfied (eg you must remain a partner to the date of the payment of the interest and must not recover capital from the partnership).

Note if the LLP was assessed as undertaking an investment business (eg property investment) no interest relief would be due.

Any interest relief would be claimed on your self assessment return and you could obtain a mortgage for this purpose.

Capital gains tax

As a share of an LLP is treated as a share in a 'normal' partnership, on a future disposal of the partnership the tax treatment would be the same as for a disposal of a partnership interest.

The main relief for a trading partnership is Entrepreneurs Relief. On a future disposal of the partnership you may qualify for the lower 10% rate of CGT.

Note however that this will apply only to trading partnerships. If the LLP was classed as undertaking an investment Entrepreneurs Relief would be due. This would effectively increase the CGT rate to 28%.

Other reliefs that a partner in an LLP may be entitled to include rollover relief and gift relief , (which are looked at in other articles).

Inheritance tax

Again, trading partnerships have an advantage as the members interest in this should qualify for business property relief ('BPR'). This can effectively eliminate the value of the partnership interest from the deceased's estate.

One point to watch out for is that if land or buildings are owned personally but are used by a partnership in which you are a partner the rate of BPR is reduced to 50%. If the IHT charge is significant it may be worthwhile considering transferring the land to a discretionary trust, provided the land is worth no more, after the 50% BPR than the nil rate band (currently £325,000).

Therefore in summary, LLP's offer a good 'halfway house' between a partnership and companies and can be very useful. Check out the article on investing in US property to see where a UK LLP can be beneficial.


LLP Tax Calculator
If you're interested in using an LLP our completely unique "LLP Tax Calculator" is essential.

Enter your profits and the number of members and it compares the total tax and net receipt if you use an LLP or a Ltd company.

You can access the LLP Tax Calculator here:

LLP Tax Calculator

You may also be interested in our other using a company tax calculators eg:

Using a company tax calculator

Property company tax calculator

Entrepreneurs relief tax calculator


LLP Articles and Q&A's
Late filing penalty for LLP in cessation? - USERNAME: Johnsmith99
Tax Question: I have been assessed a £100 penalty for the failure of a LLP I was a member to file a return for 2009/10. The LLP in question ceased to trade in 2008/9 and was wound up in that year. . . . keep reading

Romanian resident and UK tax on trading profits using an LLP? - USERNAME: kimov
Tax Question: Hi, I am a non-uk resident(Bulgaria registered company) and I would like to set-up an LLP in UK with another non-uk resident(Bulgaria registered company)or in a partnership with an UK . . . keep reading

Non resident LLP to purchase UK property - USERNAME: peppino
Tax Question: Background: I'm going to buy a commercial property in the UK using my UK LLP. The LLP partners are two: me with the 100% shares and my father at 0% shares, all non uk resident. At t . . . keep reading

LLP retaining income? - USERNAME: t.dhanjal
Tax Question: Can Limited Liability Partnerships retain profits under retained earnings and time the distribution of these when it could be more favorable to the members from a tax perspective? If y . . . keep reading

Corporate member of LLP? - USERNAME: t.dhanjal
Tax Question: Is it possible for Ltd. Companies to be members of a Limited Liability Partnership instead of legal individuals? Can this become contentious from a tax perspective, distributable profi . . . keep reading

Trading in the UK with a UK company/LLP and how to minimise taxTrading in the UK with a UK company/LLP and how to minimise tax
08/12/2010
If you're a non UK resident looking to carry out any business activities in the UK you should carefully consider whether there could be a charge to UK tax, and if so how this can be mitigated. In this . . . keep reading

Corporate partner in LLP and small company tax rate - USERNAME: davidrt
Tax Question: Follow on question to the transfer of a direct interest in a LLP to a corporate vehicle. If the vehicle company does nothing but hold the LLP interest and receive allocations of tradin . . . keep reading

Disposal of company/LLP & tax implications - USERNAME: Byron
Tax Question: I have shares in a private limited company of which I was a founder member and former director. This company has converted to an LLP. The company or the LLP is likely to be sold to a . . . keep reading

Transfer of interest in LLP to a company - USERNAME: davidRT
Tax Question: We are a 2 partner LLP facing the issue of 50% income tax. I wd like to introduce a corporate partner to receive a proportion of my profit share with a view to mitigating the 50% band. . . . keep reading

LLP and CGT - Follow up - USERNAME:rob.green7
Tax Question - Follow up Hi Thanks for your speedy response. I am told there is opportunity to use incorporation relief here as effectively my purchase of land was as a sole trader/individual and . . . keep reading

Non resident moving to Malta and UK tax on LLP profits
Tax Question: I'm wondering what the best form of incorporation would be for the following business/situation. My wife is a Polish born citizen to Polish parents and has lived in the UK for the last . . . keep reading

Tax on partners of LLP investing in UK property
Question: Hi, I am a member of a UK LLP that manufacture software in Ireland directly sold to some EU countries. Due to the fact that all LLP members are not resident in UK and the software product . . . keep reading

LLP/LTD as personal holding company
Hi, I'm UK domiciled and UK resident, owning the majority of a UK Limited trading company and shortly to incorporate another. I'm drawn to the use of a personal holding company to roll-up/re-invest . . . keep reading

Corporate partner within an LLP
Question: We are members of an LLP. We have purchased goodwill using bank finance. We have reallised that we are paying 40%/50% tax on profits we are retaining to pay the capital back. Can we intro . . . keep reading

Trading foreign exchange - using an LLP?
Question: Interested in anyone with relevant experience or advice - obviously to do it properly i will have to pay for detailed advice, but any comments would be welcomed. I have been a member of a . . . keep reading

Avoiding the remittance rules by using an LLP?
Question: Non-domicile resident is receiving income from property abroad. Currently claiming the Remittance Basis, but 7/9 deadline will apply soon. How can one mitigate the tax liability? I heard th . . . keep reading

Taxes for LLP /Ltd companies
Question: What is the difference between taxing for members(investors)if the company is setup as LLP or if it is set up as a limited company. Also how is the corporate body of the LLP taxed? . . . keep reading




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