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Contents

Official guidance
Capital Gains Manual

CG37700P · Capital Gains Manual: Trusts and Capital Gains Tax: Becoming absolutely entitled: particular cases: Absolute entitlement: other special cases

  • CG37701 · Absolute entitlement: special cases: unauthorized distributions
  • CG37702 · Absolute entitlement: special cases: unauthorized distributions
  • CG37710 · Absolute entitlement: special cases: class closing rules: introduction
  • CG37711 · Absolute entitlement: special cases: class closing rules: introduction
  • CG37712 · Absolute entitlement: special cases: class closing rules: introduction
  • CG37720 · Absolute entitlement: special cases: class closing rules: main rules
  • CG37721 · Absolute entitlement: special cases: class closing rules: main rules
  • CG37722 · Absolute entitlement: special cases: class closing rules: main rules
  • CG37723 · Absolute entitlement: special cases: class closing rules: main rules
  • CG37730 · Absolute entitlement: class closing rules: possible birth of children
  • CG37731 · Absolute entitlement: class closing rules: possible birth of children
  • CG37732 · Absolute entitlement: class closing rules: possible birth of children
  • CG37733 · Absolute entitlement: class closing rules: possible birth of children
  • CG37740 · Absolute entitlement: special cases: infancy
  • CG37741 · Absolute entitlement: special cases: infancy
  • CG37742 · Absolute entitlement: special cases: infancy
  • CG37743 · Absolute entitlement: special cases: infancy
  • CG37750 · Absolute entitlement: but for being an infant
  • CG37751 · Absolute entitlement: but for being an infant
  • CG37752 · Absolute entitlement: but for being an infant
  1. Capital Gains Manual: Trusts and Capital Gains Tax: Becoming absolutely entitled: particular cases: Absolute entitlement: other special cases: contents
  2. Absolute entitlement: but for being an infant

CG37751 | Absolute entitlement: but for being an infant

From HM Revenue & Customs · Capital Gains Manual

Where he or she would have become absolutely entitled before 3 April 1981, there was on that occasion a deemed disposal by the trustees of those assets under what is now TCGA92/S71 (1) and the beneficiary should be treated as acquiring the assets at their market value at that time. Where, however, in accordance with earlier instructions, the District has accepted that no chargeable gains accrued to the trustees on that occasion because there was no deemed disposal of assets, that position should continue to be accepted but the beneficiary should nevertheless be treated as acquiring the assets at their market value at that time.

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