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.