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Contents

Official guidance
Capital Gains Manual

CG12300P · Introduction and computation: chargeable assets: options

  • CG12301 · Options: put option or call option
  • CG12310 · Options: taxation
  • CG12311 · Options: taxation: option to enter into non-sale transaction and options to both buy and sell
  • CG12312 · Options: grant of an option
  • CG12313 · Options: exercise of an option: grantor of the option
  • CG12314 · Options: exercise of an option: person exercising the option
  • CG12315 · Options: exercise of an option: indexation allowance
  • CG12317 · Options: exercise of an option: consequential adjustments
  • CG12320 · Options: cash-settled options
  • CG12321 · Options: cash-settled options: treatment of grantor
  • CG12322 · Options: cash-settled options: treatment of person exercising the option
  • CG12330 · Options: wasting assets: disposals
  • CG12340 · Options: abandonment of an option
  • CG12350 · Options: example: call option
  • CG12351 · Options: example: put option
  • CG12360 · Options: abandonment: assets to be used for trade purposes
  • CG12370 · Options: only or main residence
  • CG12380 · Options: option granted to connected person: loss on disposal
  • CG12390 · Options: forfeited deposit of purchase money
  • CG12395 · Options: market value rule
  • CG12396 · Options: market value rule: Mansworth v Jelley: options exercised before 10 April 2003
  • CG12397 · Options: market value rule: effect of TCGA92/144ZA: options exercised on or after 10 April 2003
  • CG12398 · Options: market value rule: examples: employment-related share options
  • CG12399 · Options: market value rule: examples: options other than employment-related share options
  1. Introduction and computation: chargeable assets: options: contents
  2. Options: abandonment of an option

CG12340 | Options: abandonment of an option

From HM Revenue & Customs · Capital Gains Manual

TCGA92/S144 (4)

If an option is abandoned by the person currently entitled to exercise it, the abandonment does not constitute a disposal, and so does not give rise to an allowable loss. The treatment is different where the option which has been abandoned is

  • an option to acquire assets to be used for trade purposes, see CG12360, or

  • a quoted option to subscribe for shares in a company, a traded option or a financial option, see CG55400+.

‘Abandonment’ includes surrender for consideration, see Golding v Kaufman 58TC296 and Powlson v Welbeck Securities Ltd 60TC269. But although Section 144(4) may treat the abandonment of an option as not constituting a disposal, it does not prevent the receipt of the consideration, a capital sum derived from the option, being treated as a disposal of the option in accordance with TCGA92/S22 (1), see CG12940+. A chargeable gain or allowable loss may accrue on this deemed disposal as would have been the case had the option been disposed of by sale rather than surrendered for consideration. (See CG12360 for the wasting of allowable expenditure.)

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