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Official guidance
Capital Gains Manual

CG37880P · Capital Gains Manual: Trusts and Capital Gains Tax: Transactions creating separate settlements: Variation of trusts

  • CG37883 · Separate settlements: variations of trusts: under Variation of Trusts Act
  • CG37886 · Separate settlements: variations of trusts: instrument of variation of will or intestacy
  • CG37900 · Separate settlements: variations: identity of settlor
  • CG37910 · Separate settlements: appointments while estate in administration
  • CG37881 · Separate settlements: variations of trusts: by agreement
  • CG37882 · Separate settlements: variations of trusts: by agreement
  • CG37884 · Separate settlements: variations of trusts: under Variation of Trusts Act
  • CG37885 · Separate settlements: variations of trusts: under Variation of Trusts Act
  • CG37887 · Separate settlements: variations of trusts: instrument of variation of will or intestacy
  • CG37889 · Separate settlements: variations of trusts: instrument of variation of will or intestacy
  • CG37901 · Separate settlements: variations: identity of settlor
  • CG37902 · Separate settlements: variations: minor as settlor
  • CG37903 · Separate settlements: example
  1. Capital Gains Manual: Trusts and Capital Gains Tax: Transactions creating separate settlements: Variation of trusts: Contents
  2. Separate settlements: example

CG37903 | Separate settlements: example

From HM Revenue & Customs · Capital Gains Manual

Under a settlement made by X, A and B are each entitled to half the income. On A's deathhis son P will get half absolutely. On B's death her daughter Q will get half absolutely.The values of their respective interests are, say:

A's life interest£60,000
P's remainder£40,000
B's life interest£75,000
Q's remainder£25,000

Under the variation, executed when all the beneficiaries are adults, which is consideredto terminate the old settlement:

A takes 30 per cent of the property,

20 per cent goes to a new accumulation and maintenance settlement for P's children,

B takes 25 per cent of the property,

the rest is held for Q for life with a remainder to Q's son R.

P should be regarded as the settlor, for the purpose of the annual exempt amount, ofthe accumulation and maintenance settlement, because this is how his share has been dealtwith.

B and Q should be regarded as the settlors of the other settlement. Therefore one-third ofany gains will fall within TCGA92/S77 because Q is a beneficiary.

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