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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. TCGA92/S90 - part of settled property transferred for nil consideration - example

CG38935 | TCGA92/S90 - part of settled property transferred for nil consideration - example

From HM Revenue & Customs · Capital Gains Manual

No capital payments have been made out of the transferor settlement. The transferor settlement has the following gains made by the trustees:

Year-Amount
2005-06Trustees’ gains (section 2(2) amount)£20,000
2012-13Section 2(2) amount on transfer of shares£75,000

It is only the ‘relevant proportion’ of these unmatched section 2(2) amounts that is transferred to the transferee settlement. The relevant proportion is 4/5 (£400,000 / [£400,000 + £100,000]).

Transferee settlement

The transferee settlement acquires the following unmatched section 2(2) amounts:

YearAmount-
2005-06£16,000(£20,000 x 4/5)
2012-13£60,000(£75,000 x 4/5)

They are added to any unmatched section 2(2) amounts it already has and can be matched with capital payments made from the transferee settlement in 2012-13 or a later year. This applies whatever the residence status of the transferee settlement.

Transferor settlement

The unmatched section 2(2) amounts of the transferor settlement are reduced by the section 2(2) amounts that have been treated as transferred to the transferee settlement. The unmatched section 2(2) amounts become:

YearAmount-
2005-06£4,000(£20,000 - £16,000)
2012-13£15,000(£75,000 - £60,000)

This reduction has effect for matching in the year after the year of transfer (2013-14) and subsequent years.

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