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Official guidance
Capital Gains Manual

CG37200P · Capital Gains Manual: Trusts and Capital Gains Tax: Becoming absolutely entitled: general: Losses and other reliefs

  • CG37201 · Absolute entitlement: losses of trustees: entitlement before 16 June 1999
  • CG37208 · Absolute entitlement: losses of trustees: transfer of losses is mandatory
  • CG37210 · Absolute entitlement: losses of trustees: self assessment
  • CG37202 · Absolute entitlement: losses of trustees: apportionment
  • CG37203 · Absolute entitlement: losses of trustees: entitlement on or after 16 June 1999
  • CG37204 · Absolute entitlement: losses of trustees: entitlement on or after 16 June 1999
  • CG37205 · Absolute entitlement: losses of trustees: restriction of beneficiary's relief after 16 June 1999
  • CG37206 · Absolute entitlement: losses of trustees: hold-over relief
  • CG37207 · Absolute entitlement: losses of trustees: connected persons
  • CG37209 · Absolute entitlement: losses of trustees: other trustees becoming entitled
  • CG37230 · Absolute entitlement: charities becoming absolutely entitled
  • CG37240 · Losses and other reliefs: gifts hold-over
  • CG37250 · Absolute entitlement: principal private residence
  1. Capital Gains Manual: Trusts and Capital Gains Tax: Becoming absolutely entitled: general: Losses and other reliefs
  2. Absolute entitlement: losses of trustees: entitlement before 16 June 1999

CG37201 | Absolute entitlement: losses of trustees: entitlement before 16 June 1999

From HM Revenue & Customs · Capital Gains Manual

All losses which can be deducted from gains accruing to the trustees on or before the occasion of charge under Section 71(1) must be so set off, without regard to which beneficiary may ultimately become absolutely entitled to particular assets. The transfer of losses to the beneficiary takes place before the gains of the later part of the year are considered.

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