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Official guidance
Capital Gains Manual

CG38910P · Capital Gains Manual: Trusts and Capital Gains Tax: Non-resident trusts: Transfers between settlements - introduction

  • CG38910 · Transfers between settlements - introduction
  • CG38915 · Transfers between settlements - when section 90 does not apply
  • CG38920 · Transfers between settlements - calculating the section 2(2)* amounts transferred
  • CG38925 · Transfers between settlements: impact on section 2(2)* amounts of transferee settlement
  • CG38930 · TCGA92/S90 - all property transferred for nil consideration - example
  • CG38935 · TCGA92/S90 - part of settled property transferred for nil consideration - example
  • CG38940 · TCGA92/S90 - All settled property transferred for a consideration of market value - example
  • CG38945 · TCGA92/S90 - All settled property transferred for consideration less than market value - example
  • CG38950 · TCGA92/S90 - part of settled property transferred for consideration less than market value - example
  • CG38955 · TCGA92/S90 - increase in unmatched section 2(2) amounts does not affect matching in earlier years in transferee settlement - example
  • CG38960 · TCGA92/S90 - order of matching if capital payments made out of transferor settlement in year of transfer - example
  • CG38965 · Transfer of settled property before 6 April 2008: outline
  • CG38970 · Transfer of settled property before 6 April 2008 - calculation of section 2(2) amounts
  • CG38975 · Transfer between settlements before 6 April 2008 - transferee settlement
  • CG38980 · Transfer between settlements before 6 April 2008 - transferor settlement
  • CG38985 · Calculating unmatched section 2(2) following transfer of settled property before 6 April 2008 - example
  • CG38990 · Information powers
  1. Capital Gains Manual: Trusts and Capital Gains Tax: Non-resident trusts: Transfers between settlements - introduction: contents
  2. Transfers between settlements: impact on section 2(2)* amounts of transferee settlement

CG38925 | Transfers between settlements: impact on section 2(2)* amounts of transferee settlement

From HM Revenue & Customs · Capital Gains Manual

The guidance in CG38920 refers to the section 2(2)* amount transferred being added to any section 2(2)* amounts of the transferee settlement. In practice transfers are often made to new settlements so there are no existing section 2(2)* amounts that could be increased and the transfer creates section 2(2)* amounts for the earlier years.

If the transfer is to an existing settlement which already has unmatched section 2(2)* amounts the increase takes effect only for the year of transfer and subsequent tax years, TCGA92/S90(7). This means:

  • capital payments for earlier years that have already been matched don’t have to be re-matched against the adjusted section 2(2)* amounts in the transferee settlement

  • capital payments for earlier years that are unmatched cannot be matched against the adjusted section 2(2)* amounts in the transferee settlement, CG38955

  • capital payments for the year of transfer can be matched with the section 2(2)* amount of the transferee settlement for the year of transfer.

If the transferee settlement has always been UK resident TCGA92/S90(6) applies the rules in TCGA92/S89. Section 89 deals with the case in which a non-resident settlement becomes UK resident. See CG38600. Section 90(6) treats the transferee settlement as a non-resident settlement which became UK resident the year after the transfer. This means TCGA92/S89 applies to the transferee settlement and it is treated as having section 2(2)* amounts which can be matched with capital payments.

*This section was re-written for disposals from 6 April 2019 to section 1(3) see CG10150.

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