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Official guidance
Capital Gains Manual

CG17700P · Introduction and computation: indexation: disposals 30 November 1993 onward

  • CG17700 · Indexation: disposals 30/11/93+: Finance Act 1994
  • CG17721 · Indexation: disposals 30/11/93+: unindexed gain; indexation allowance
  • CG17730 · Indexation: disposals 30/11/93+: disposals following no gain/loss transfers
  • CG17733 · Indexation: disposals 30/11/93+: no gain/loss transfers: share pools
  • CG17740 · Indexation: disposals 30/11/93+: assets not held by transferor at 31/2/82
  • CG17745 · Indexation: disposals 30/11/93+: previous no gain/loss transfer before 30/11/93
  • CG17746 · Indexation: disposals 30/11/93+: previous no gain/loss transfer after 30/11/93
  • CG17760 · Indexation: disposals 30/11/93+: assets held by transferor at 31/3/82
  • CG17765 · Indexation: disposals 30/11/93+: assets held by transferor at 31/3/82
  • CG17766 · Indexation: disposals 30/11/93+: rolled-up indexation to create loss
  • CG17767 · Indexation: disposals 30/11/93+: rolled-up indexation to create loss
  • CG17768 · Indexation: disposals 30/11/93+: rolled-up indexation to increase loss
  • CG17800 · Indexation: disposals 30/11/93+: transitional relief: outline
  • CG17820 · Indexation: disposals 30/11/93+: use of transitional relief
  • CG17826 · Indexation: disposals 30/11/93+: use of transitional relief: example
  • CG17830 · Indexation: disposals 30/11/93+: use of transitional relief: amount 94-95
  • CG17831 · Indexation: disposals 30/11/93+: use of transitional relief: example
  • CG17835 · Indexation: disposals 30/11/93+: transitional relief: indexation losses
  • CG17840 · Indexation: disposals 30/11/93+: transitional relief: claims under S574
  • CG17847 · Indexation: disposals 30/11/93+: transitional relief: claims under S574
  • CG17850 · Indexation: disposals 30/11/93+: transitional relief: claims under S574
  • CG17855 · Indexation: disposals 30/11/93+: transitional relief: losses in 94/95
  • CG17870 · Indexation: disposals 30/11/93+: S574 relief against income of other years
  • CG17876 · Indexation: disposals 30/11/93+: transitional relief: example
  • CG17880 · Indexation: disposals 30/11/93+: transitional relief: S161(3) claims
  1. Introduction and computation: indexation: disposals 30 November 1993 onward: contents
  2. Indexation: disposals 30/11/93+: assets held by transferor at 31/3/82

CG17760 | Indexation: disposals 30/11/93+: assets held by transferor at 31/3/82

From HM Revenue & Customs · Capital Gains Manual

For assets which were held by the transferor at 31 March 1982, or which can be traced back through an unbroken sequence of no gain/no loss transfers to 31 March 1982, TCGA92/S55 (6) applies on the eventual disposal. The amounts of indexation allowance which were included in the transferee’s RAE on previous no gain/no loss transfers are taken back out of RAE, under TCGA92/S55 (6)(b). The indexation allowance due on the eventual disposal is computed afresh, under TCGA92/S55 (6)(a).

Because in these cases the indexation is computed afresh at the date of disposal, it will all be subject to the general restriction described at CG17700+. Without special rules, this indexation could not create or increase a loss.

The Finance Act 1994 introduced new subsections (7) to (11) to TCGA92/S55 to deal with these cases. They ensure that amounts of indexation which would have been included in the transferee’s RAE under TCGA92/S56 (2) (but which were taken out again by TCGA92/S55 (6)(b) on the eventual disposal) on no gain/no loss transfers prior to 30 November 1993 remain in the computation of gain or loss.

These amounts are referred to as `rolled-up indexation’.

To calculate the chargeable gain, or allowable loss, in these cases you need to

  • Compute any gain in the normal way, see CG17700+

  • Compute the amount of rolled-up indexation, see above.

TCGA92/S55 (7), TCGA92/S55 (8) & TCGA92/S55 (9)

If

  • the amount of indexation allowed in the computation exceeds the amount of rolled-up indexation, no further adjustment is required;

  • the amount of indexation allowed in the computation would be less than the amount of rolled-up indexation, you should allow the full amount of the rolled-up indexation in arriving at the chargeable gain or allowable loss.

These points are illustrated in the following examples.

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