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Official guidance
Capital Gains Manual

CG14850P · Capital Gains manual: introduction and computation: computation: deferred consideration

  • CG14850 · Deferred consideration: introduction
  • CG14870 · Deferred consideration: not instalments of capital sum: land development
  • CG14871 · Deferred consideration: not instalment of capital sum: employment contract
  • CG14873 · Deferred consideration: not instalments of a capital sum: income or capital receipts
  • CG14881 · Deferred consideration: what is ascertainable
  • CG14883 · Deferred consideration: Ascertainable but contingent
  • CG14910 · Deferred consideration: ascertainable: payment by instalments: conditions and calculation
  • CG14930 · Deferred consideration: ascertainable: consideration irrecoverable
  • CG14933 · Deferred consideration: ascertainable: claims that consideration is irrecoverable
  • CG14940 · Deferred consideration: unascertainable deferred payments
  • CG14950 · Deferred consideration: unascertainable: assessable amount and valuation issues
  • CG14970 · Deferred consideration: unascertainable: future payments when received
  • CG14980 · Deferred consideration: unascertainable: example
  • CG14990 · Deferred consideration: unascertainable: tax cases
  • CG15020 · Deferred consideration: linked issues
  • CG15080 · Deferred consideration: unascertainable: election for treatment of loss - introduction
  • CG15081 · Deferred consideration: unascertainable: election for treatment of loss -outline of provisions
  • CG15082 · Deferred consideration: unascertainable: election for treatment of loss - layout of guidance
  • CG15083 · Deferred consideration: unascertainable: election for treatment of loss - basic requirements
  • CG15084 · Deferred consideration: unascertainable: election for treatment of loss - rights - five specified conditions
  • CG15085 · Deferred consideration: unascertainable: election for treatment of loss - further specified conditions - Condition 1
  • CG15086 · Deferred consideration: unascertainable: election for treatment of loss - further specified conditions - Condition 2
  • CG15087 · Deferred consideration: unascertainable: election for treatment of loss - Condition 1 - chargeable gain postponed
  • CG15088 · Deferred consideration: unascertainable: election for treatment of loss - within the charge to CGT for the year of the loss
  • CG15089 · Deferred consideration: unascertainable: election for treatment of loss - right to unascertainable consideration defined
  • CG15090 · Deferred consideration: unascertainable: election for treatment of loss - temporary non-residents
  • CG15100 · Deferred consideration: unascertainable: election for treatment of loss - effect of election under section 279A
  • CG15101 · Deferred consideration: unascertainable: election for treatment of loss - first year limit
  • CG15104 · Deferred consideration: unascertainable: election for treatment of loss - loss exceeds first year limit
  • CG15105 · Deferred consideration: unascertainable: election for treatment of loss - later eligible years
  • CG15106 · Deferred consideration: unascertainable: election for treatment of loss - effect of restriction of loss set-off
  • CG15107 · Deferred consideration: unascertainable: election for treatment of loss - examples of set off of losses
  • CG15110 · Deferred consideration: unascertainable: election for treatment of loss - example - gains and losses accruing in years later than the year of disposal of the asset
  • CG15120 · Deferred consideration: unascertainable: election for treatment of loss - necessary adjustments
  • CG15121 · Deferred consideration: unascertainable: election for treatment of loss - elections under section 279A
  • CG15122 · Deferred consideration: unascertainable: election for treatment of loss - information to be provided in the notice of election
  • CG15123 · Deferred consideration: unascertainable: election for treatment of loss - interaction with TCGA92/S138A
  • CG15130 · Deferred consideration: cost to purchaser for deferred consideration
  1. Capital Gains manual: introduction and computation: computation: deferred consideration: contents
  2. Deferred consideration: unascertainable: election for treatment of loss - effect of election under section 279A

CG15100 | Deferred consideration: unascertainable: election for treatment of loss - effect of election under section 279A

From HM Revenue & Customs · Capital Gains Manual

TCGA92/S279C

Where all the conditions for relief are met and the taxpayer makes an election under TCGA92/S279A, the relevant loss is treated as accruing to him in a year of assessment earlier than the year of the loss, as set out below. (CG15121 and CG15122 tell you how elections under TCGA92/S279A must be made.)

The relevant loss is treated as accruing in the earliest year of assessment which is an eligible year, see CG15086 above, instead of in the year of the loss. This treatment, which is subject to the remaining provisions in TCGA92/S279C, permits the loss to be deducted from chargeable gains accruing to the taxpayer in the first eligible year.

There is a limit (the “first year limit”) on the amount of the relevant loss that falls to be deducted from chargeable gains of the first eligible year in accordance with TCGA92/S2(2)(a). See CG15101.

If the amount of the relevant loss does not exceed this limit, then the loss is wholly deducted from those chargeable gains.

If the amount of the relevant loss exceeds this limit, then part only of the loss (the amount of that part being equal to the limit) is deducted from those chargeable gains, and the excess is carried forward to later tax years in accordance with the rules set out in CG15105 below.

The general effect of the rules is to provide that no part of the relevant loss is deducted from the total amount of the chargeable gains accruing to the taxpayer in the first eligible year until after all other available allowable losses (including those which are the subject of earlier elections under TCGA92/S279A) have been deducted from that amount.

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