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Capital Gains Manual

CG38845P · Capital Gains Manual: Trusts and Capital Gains Tax: Non-resident trusts: Charge on beneficiary of non-resident settlement – TCGA92/S87: Paragraph 126 elections - 'rebasing'

  • CG38845 · Paragraph 126 elections: time limit for making election
  • CG38850 · Paragraph 126 elections: how to make the election
  • CG38855 · Paragraph 126 elections: when does the election apply?
  • CG38860 · Paragraph 126 elections: what is the effect of the election?
  • CG38865 · Basic operation of FA08/Sch7/para126 - example
  • CG38870 · FA08/Sch7/para126(8) - relevant proportion is 0 - example
  • CG38875 · FA08/Sch7/para126 and section 13 TCGA
  • CG38880 · FA08/Sch7/para126 and section 13* gains - example
  • CG38885 · FA08/Sch7/para126 and section 13 losses - example
  • CG38890 · FA08/Sch7/para126 and transfers between settlements
  • CG38895 · Effect of FA08/Sch7/para126 on transfers between settlements - example
  • CG38900 · FA08/Sch7/para126 and transfers between settlements owning non-UK resident companies
  • CG38905 · FA08/Sch7/para126 elections and transfers of non-resident close companies - example
  1. Capital Gains Manual: Trusts and Capital Gains Tax: Non-resident trusts: Charge on beneficiary of non-resident settlement – TCGA92/S87: Paragraph 126 elections - 'rebasing': contents
  2. Paragraph 126 elections: time limit for making election

CG38845 | Paragraph 126 elections: time limit for making election

From HM Revenue & Customs · Capital Gains Manual

FA08/Sch7/para126(2)

The time limit for making the election is 31 January after the end of the first tax year in which either of the following two events occurs in 2008-09 or later, paragraph 126(2):

  • a capital payment is received by a UK-resident beneficiary or

  • there is a transfer of the settled property to which section 90 TCGA applies, CG38910+.

For example, if the trustees make a capital payment to a UK resident beneficiary in June 2013 they have until 31 January 2015 to make the election.

The time-limit starts even if first capital payment is received by a UK-resident beneficiary who is not entitled to the relief. For example, the first capital payment is received by a UK-resident and domiciled individual. The trustees don't make the election because the beneficiary would get no relief. It may be too late to make the election if a capital payment is then received by a qualifying beneficiary.

An election may be made before a triggering event occurs.

There is no requirement that the beneficiary receiving the payment was a beneficiary as at 6 April 2008. They may become a beneficiary at some later time.

Any election made late will be considered in accordance with CG13700.

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