Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Capital Gains Manual

CG27000C · Partnerships

  • CG27000 · Contents: Statutory rules, Statements of Practice and SA Returns
  • CG27020 · Partnerships, limited partnerships and limited liability partnerships
  • CG27050 · Limited liability partnerships- statutory rules
  • CG27070 · Limited Liability partnerships: transfer of a partnership business to a LLP
  • CG27080 · Partnerships, limited partnerships and limited liability partnerships: Limited liability partnerships: roll-over relief and gifts hold-over relief
  • CG27100 · Partners
  • CG27150 · Statement of practice D12: summary
  • CG27170 · Statement of practice D12: full text
  • CG27200 · Partnership assets
  • CG27220 · Calculating a fractional interest in a partnership asset
  • CG27250 · Valuation of a partner's fractional interest in a partnership asset: SP D12:
  • CG27300 · Fractional interests in partnership assets acquired in stage: SPD12.
  • CG27350 · Disposals of partnership assets: SP D12
  • CG27400 · Partnership assets divided in kind among the partners: SP D12
  • CG27500 · Changes in fractional interests in partnership assets: SP D12: Sections 4, 6 and 7
  • CG27540 · Changes in fractional interests in partnership assets: examples
  • CG27640 · Partners joining or leaving a partnership: examples
  • CG27700 · Partnership mergers: SP D12: Section 10
  • CG27800 · Transfers not at arm’s length and connected persons rules: SP D12: Section 8
  • CG27900 · Transfer of an asset to a partnership: SP D12: Section 5
  • CG27940 · Example 1: transfer of an asset at market value
  • CG28000 · Partnership goodwill and negligible value claims
  • CG28100 · Rebasing of interests in partnership assets held at 31 March 1982
  • CG28140 · Rebasing: changes in partnership sharing ratios: SP1/89
  • CG28230 · Rebasing: examples: FA 2008 rules: change in partnership sharing ratios on or after 6 April 2008 - FA 2008 rebasing rules
  • CG28290 · Rebasing: deferred gains: SP1/89
  • CG28300 · Indexation allowance
  • CG28400 · Partnership annuities: SP D12
  • CG28500 · Transfer of a partnership business and capital gains reliefs: entrepreneurs’ relief, “roll-over” relief and gift “holdover” relief: SP D12: Section 14
  1. Partnerships: contents
  2. Partnerships: Disposals of partnership assets: SP D12

CG27350 | Partnerships: Disposals of partnership assets: SP D12

From HM Revenue & Customs · Capital Gains Manual

Section 2 of SP D12 explains that when a partnership disposes of an asset each of the partners is treated as having disposed of their fractional interests in the asset.

The partners’ shares of the disposal proceeds should be calculated by reference to their fractional interests in the asset using the tests in CG27220 in the order in which they are set out, unless the market value rule in TCGA92/S17/S18 applies, see CG27800.

The costs of acquisition should normally be allocated between the partners in the same way at the time of acquisition, although an adjustment may be required if there is a subsequent change in partnership sharing ratios, see CG27500. However, there are certain situations when a partner’s acquisition costs may not be based on the cost of the asset to the partnership, for example, when the market value rule applies on acquisition or when the asset was transferred to the partnership by the partner, see CG27900 and the examples at CG27940.

Example

A, B and C carry on a business in partnership.

Their interests in partnership assets are shared as to:

  • A = 50%

  • B = 30%

  • C = 20%

The partnership purchases a freehold property for £570,000 and sells it several years later for £780,000.

The gains on disposal (ignoring expenses) for A, B and C are computed as follows:

-Partner APartner BPartner C
Disposal proceeds---
£780,000 x 50%/30%20%£390,000£234,000£156,000
Less Cost---
£570,000 x 50%/30%/20%£285,000£171,000£114,000
Gains£105.000£63.000£42.000

The gains accruing to the partners, £105,000 + £63,000 + £42,000 = £210,000, are equal to the overall gain on the property, £780,000 - £570,000 = £210,000.

Part- disposals

If the partnership had sold part of the freehold property the part-disposal rules in TCGA92/S42, see CG12730, would be applied to each partner’s allowable costs in order to determine the sums allowable under TCGA92/S38 (1)(a) and (b).

Small part-disposals of land

Where a small part disposal of land is made by a partnership the conditions in TCGA92/S242 apply to each partner separately. TCGA92/S242 provides that in certain circumstances and subject to a claim by the transferor, a small part disposal of land will not be treated as a disposal. CG71870 explains the conditions that apply in relation to claims under TCGA92/S242.

PreviousNext
PrivacyTerms