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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: assets to be used for trade purposes

CG12360 | Options: abandonment: assets to be used for trade purposes

From HM Revenue & Customs · Capital Gains Manual

TCGA92/S144 (4)(c)

TCGA92/S144 (4)(c) provides that the abandonment of an option to purchase assets to be used for the purposes of a trade carried on by the acquirer constitutes a disposal and so may give rise to an allowable loss. By TCGA92/S146 (1)(c) such an option is not to be treated as a wasting asset, see CG12330.

It may be that an option is abandoned before the acquirer has started to carry on a trade. Section 144(4) (c) does not specifically refer to ‘a trade to be carried on’ but it may be accepted that Section 144(4) (c) extends to cases where

  • a trade was commenced by the acquirer shortly after the abandonment of the option, and

  • the available evidence clearly indicates that the option concerned was to acquire assets with the intention of using them, if acquired, for the purposes of that trade.

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