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Official guidance
Capital Gains Manual

CG39100P · Capital Gains Manual: Trusts and Capital Gains Tax: Non-resident trusts: Anti-avoidance legislation – flip-flop schemes: History TCGA92/Sch4B and 4C

  • CG39100 · History TCGA92/Sch4B and 4C
  • CG39105 · TCGA92/Sch4B - transfers of value linked to trustee borrowing - outline
  • CG39110 · TCGA92/Sch4B - applies only to non-resident settlements
  • CG39115 · TCGA92/Sch4B - transfer of value
  • CG39120 · Transfer creates a new asset
  • CG39125 · TCGA92/Sch4B - "the material time"
  • CG39130 · TCGA92/Sch4B - What is trustee borrowing?
  • CG39135 · TCGA92/Sch4B - 'proceeds' of trustee borrowing
  • CG39140 · TCGA92/Sch4B - transfer of value linked with trustee borrowing
  • CG39145 · TCGA92/Sch4B - Application of proceeds of borrowing for normal trust purposes
  • CG39150 · TCGA92/Sch4B - payment in respect of ordinary trust assets
  • CG39155 · Meaning of 'ordinary trust assets'
  • CG39160 · Alternative test for TCGA92/Sch4B/para6(2)(b) to apply
  • CG39165 · Borrowing to acquire freehold interest let on a commercial basis
  • CG39170 · TCGA92/Sch4B - discharge of a loan obligation
  • CG39175 · TCGA92/Sch4B - payment of ordinary trust expenses
  • CG39180 · TCGA92/Sch4B - deemed disposal of remaining chargeable assets
  • CG39185 · Deemed disposal - defined terms
  • CG39190 · Disposal of the whole or part of each asset?
  • CG39195 · Re-acquisition cost of assets
  • CG39200 · TCGA92/Sch4B - value of asset attributable to trustee borrowing - outline
  • CG39205 · Value of asset attributable to trustee borrowing - detail
  • CG39210 · TCGA92/Sch4B - tax charge
  1. Capital Gains Manual: Trusts and Capital Gains Tax: Non-resident trusts: Anti-avoidance legislation – flip-flop schemes: History TCGA92/Sch4B and 4C: contents
  2. Alternative test for TCGA92/Sch4B/para6(2)(b) to apply

CG39160 | Alternative test for TCGA92/Sch4B/para6(2)(b) to apply

From HM Revenue & Customs · Capital Gains Manual

TCGA92/Sch4B/para8

To satisfy the test that the proceeds of borrowing are spent on ordinary trust assets the asset must be settled property immediately after the material time. In other words it must be trust property after the transfer of value. TCGA92/Sch4B/para8 provides an alternative test if the acquired asset is no longer settled property.

If the original asset has been sold and the proceeds used to acquire another asset or assets the test is satisfied if:

  • the new asset or assets are ordinary trust assets

  • those assets are themselves settled property immediately after the material time.

The test in TCGA92/Sch4B/para8(1)(b) is that the new assets directly or indirectly represent the original assets. It will also apply to shares issued on a company reconstruction.

Original asset lost or destroyed

The original asset may have been lost or destroyed such that TCGA92/S24(1) applies to treat the asset as disposed of. Here there is no requirement that anything has replaced the lost asset. This also applies if the replacement assets mentioned in paragraph 8(1)(b) have themselves been lost or destroyed.

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