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Official guidance
Capital Gains Manual

CG17310P · Introduction and computation: indexation: examples to illustrate principles of CG17230 to CG17293

  • CG17310 · Indexation: from 6/4/88 example: basic computation
  • CG17311 · Indexation: from 6/4/88 example: unindexed gain of nil
  • CG17312 · Indexation: from 6/4/88 example: enhancement expenditure/disposal costs
  • CG17313 · Indexation: from 6/4/88 example: indexation factors
  • CG17318 · Indexation: from 6/4/88 example: indexation allowance
  • CG17319 · Indexation: from 6/4/88 example: - postponed gain
  1. Introduction and computation: indexation: examples to illustrate principles of CG17230 to CG17293: contents
  2. Indexation: from 6/4/88 example: - postponed gain

CG17319 | Indexation: from 6/4/88 example: - postponed gain

From HM Revenue & Customs · Capital Gains Manual

This example illustrates the freezing of indexation allowance where there is a postponed gain. The computation is for a reorganisation involving qualifying corporate bonds (QCBs), illustrated by the examples at CG53712.

In August 1988 Mr E subscribes £10,000 for 10,000 £1 shares in unquoted company Z.

In October 1998 Z is acquired by a quoted company Y which offers one unit of loan stock nominal value £10 for each share held. The loan stock is a QCB.

In May 1999 Mr E redeems his holding of loan stock at par.

The exchange of shares for QCBs in October 1998 requires a computation under TCGA92/S116(10)(a). Shares and Assets Valuation agree the value of the shares in Z at £10 per share.

---£
Disposal proceeds--100,000
LessCost of acquisition-10,000
-Unindexed gain-90,000
(Indexation allowance is calculated to April 1998)---
LessIndexation10,000 at 0.5075,070
Indexed gain--84,930

The redemption of the loan stock in May 1999 releases a chargeable gain of £84,930 which accrues to Mr E in 1999-2000.

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