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Contents

Official guidance
Capital Gains Manual

CG12940P · Introduction and computation: occasions of charge: capital sums derived from assets

  • CG12940 · Capital sums derived from assets: s22 TCGA92
  • CG12945 · Capital sums derived from assets: s22 TCGA92: the charge to tax
  • CG12948 · Capital sums derived from assets: s22(1)(a) TCGA92: compensation
  • CG12950 · Capital sums derived from assets: s22(1)(b) TCGA92: insurance receipts
  • CG12952 · Capital sums derived from assets: s22(1)(c) TCGA92: forfeiture or surrender of rights
  • CG12955 · Capital sums derived from assets: s22(1)(d) TCGA92: use or exploitation of assets
  • CG12960 · Capital sums derived from assets: s22(2) TCGA92: time of disposal
  • CG12965 · Capital sums derived from assets: interaction of s22 and s24 TCGA92
  • CG12970 · Capital sums derived from assets: interaction of s22(1) and s251(1) TCGA92
  • CG12971 · Capital sums derived from assets: section 22(1) TCGA 1992: compensation: practical considerations
  • CG12975 · Capital sums derived from assets: s22 TCGA92: meaning of ‘owner’
  • CG12980 · Capital sums derived from assets: s22 TCGA92: meaning of ‘capital sum’
  • CG12985 · Capital sums derived from assets: s22(1) TCGA92: meaning of ‘derived from assets’
  • CG12990 · Capital sums derived from assets: s22(1) TCGA92: capital sums derived from ‘rights’
  • CG12995 · Capital sums derived from assets: s22(1) TCGA92: statutory rights
  • CG13000 · Capital sums derived from assets: s22(1) TCGA92: contractual rights
  • CG13010 · Capital sums derived from assets: s22(1) TCGA92: contractual rights: warranty and indemnity payments
  • CG13015 · Capital sums derived from assets: section 22(1) TCGA 1992: rights of action
  • CG13021 · Capital sums derived from assets: section 22(1) TCGA 1992: extra statutory concession D33 amended from 27 January 2014: claims for extension of Paragraph 11
  • CG13022 · Capital sums derived from assets: section 22(1) TCGA 1992: extra statutory concession D33 amended from 27 January 2014: Claims received before a return is due
  • CG13023 · Capital sums derived from assets: section 22(1) TCGA 1992: extra statutory concession D33 amended from 27 January 2014: claims received with a return
  • CG13024 · Capital sums derived from assets: section 22(1) TCGA 1992: extra statutory concession D33 amended from 27 January 2014: reviewing a claim
  • CG13025 · Incentive payments by financial institutions: introduction
  • CG13026 · Incentive payments by financial institutions: cashbacks: background
  • CG13027 · Incentive payments/financial institutions: cashbacks: contractual rights
  • CG13028 · Incentive payments/financial institutions: other inducements
  • CG13029 · Incentive payments/financial institutions: other inducements: specific points
  1. Introduction and computation: occasions of charge: capital sums derived from assets: contents
  2. Capital sums derived from assets: s22(1)(d) TCGA92: use or exploitation of assets

CG12955 | Capital sums derived from assets: s22(1)(d) TCGA92: use or exploitation of assets

From HM Revenue & Customs · Capital Gains Manual

S22(1)(d) TCGA92 deems a disposal when the owner of an asset receives a capital sum, see CG12980, as consideration for its use or exploitation by someone else.

For example, a capital sum paid to a landowner or farmer for the granting of easements or wayleaves for a term of years or perpetuity, see CG70250.

Chaloner v Pellipar Investments Ltd (68 TC 238) provides a useful commentary on the application of s22(1)(d) TCGA92 to consideration for the use or exploitation of land. In that case, see CG70295, the court drew a distinction between:

  • a part disposal of the owner’s interest in the land when a capital sum is received in circumstances where the owner’s title to land is affected, for example the grant of a lease which gives the lessee the right to actual possession of the land, and

  • a deemed disposal within s22(1)(d) TCGA92 when a capital sum is received in circumstances where the owner’s title to land is unaffected, for example where he remains entitled to full possession of the land.

In certain circumstances and subject to a claim being made, s23 TCGA92 prevents the receipt of a capital sum within se22(1)(d) TCGA92 from being treated as an occasion of a disposal where the receipt is applied in restoring a damaged asset or replacing an asset which has been lost or destroyed, see CG15700+.

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