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Official guidance
Capital Gains Manual

CG10900P · Introduction and computation: persons chargeable: effects of residence, ordinary residence and domicile

  • CG10900 · Effects of residence/domicile: introduction and layout of instructions
  • CG10910 · Effects of residence/domicile: meaning of terms
  • CG10918 · Effects of residence/domicile: residence etc: individuals - for years up to and including 2012-13
  • CG10919 · Effects of residence/domicile: residence etc: individuals - years from 2013-14
  • CG10921 · Effects of residence/domicile: residence etc: losses
  • CG10930 · Effects of residence/domicile: domicile: section 12 TCGA 1992
  • CG10950 · Effects of residence/domicile: residence etc: companies
  • CG10960 · Effects of residence/domicile: residence etc: settlements
  • CG10970 · Effects of residence/domicile: persons changing residence status
  • CG10972 · Effects of residence/domicile: change of residence: ESC D2 - for years up to and including 2012-13
  • CG10974 · Effects of residence/domicile: arrivals during a tax year - for years up to and including 2012-13
  • CG10976 · Effects of residence/domicile: departures during a tax year - for years up to and including 2012-13
  • CG10978 · Effects of residence/domicile: arrivals and departures during a tax year - split year treatment for years from 2013-14
  • CG10980 · Effects of residence/domicile: settlements
  • CG11000 · Effects of residence/domicile: partnerships
  • CG11020 · Effects of residence/domicile: gains arising to non-resident companies: section 13 TCGA 1992
  • CG11030 · Effects of residence/domicile: gains arising to non-resident settlements
  • CG11040 · Effects of residence/domicile: exemption: double taxation agreements
  1. Introduction and computation: persons chargeable: effects of residence, ordinary residence and domicile: contents
  2. Effects of residence/domicile: residence etc: individuals - for years up to and including 2012-13

CG10918 | Effects of residence/domicile: residence etc: individuals - for years up to and including 2012-13

From HM Revenue & Customs · Capital Gains Manual

TCGA92/S2

Detailed guidance is provided at CG25000+. Briefly, an individual is within the charge to Capital Gains Tax for any year of assessment during which he or she is at any time in the year of assessment

  • resident and ordinarily resident in the UK

  • resident but not ordinarily resident in the UK

  • not resident but ordinarily resident in the UK.

But see CG11000 for individuals who are members of a partnership controlled abroad.

If a chargeable gain accrues to an individual in a year when they are neither resident nor ordinarily resident in the UK then (subject to the temporary non-residence rules in TCGA92/S10A and the gain not arising on assets used for a trade, profession or vocation carried on in the UK - see below) they will not be chargeable on that gain even if they later become UK resident and enjoy the gain in the UK after that time. Where the concessionary treatment (ESC D2) described at CG10972+ applies, gains which accrue at a time when an individual is not resident are not taxed if or when they are remitted, subject always to TCGA92/S10A.

For guidance on TCGA92/S10A, see CG26100+.

An individual who is neither resident nor ordinarily resident in the UK for a year of assessment is not normally within the charge to Capital Gains Tax (see above). However if the individual carries on a trade, profession or vocation in the UK through a branch or agency that individual is within the charge as regards gains on assets relating to that activity (TCGA92/S10). For further details see CG25500+.

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