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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. Incentive payments/financial institutions: cashbacks: contractual rights

CG13027 | Incentive payments/financial institutions: cashbacks: contractual rights

From HM Revenue & Customs · Capital Gains Manual

Under these arrangements, the society has offered to pay the cashback. That offer is accepted by the borrower once they take out the mortgage. Both parties have fully carried out their rights and obligations and neither parties' contractural rights have been frustrated.

In these cases, therefore, the cashback is NOT a capital sum derived from an asset, TCGA92/S22 (1), and is not chargeable to Capital Gains Tax. See CG13000 for more guidance on capital sums derived from contractual rights and CG12980 for guidance on capital sums generally.

TREATED AS INCOME

In certain circumstances, a cashback may be chargeable as income. Normally, this will only apply if the cashback is received in the course of either the recipient's business or employment. In such cases, you should consult the appropriate guidance or technical specialist if necessary.

NON-MONETARY PAYMENTS

You may see schemes in which the cashback is paid in a non-monetary form, for example a motor car, or in a series of payments. These differences should not affect the general treatment of such payments but in any given case it is essential to review all the available documentation including the terms of the offer and the requirements and obligations it imposes on both parties.

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