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Official guidance
Capital Gains Manual

CG39250P · Capital Gains Manual: Trusts and Capital Gains Tax: Non-resident trusts: Anti-avoidance legislation – flip-flop schemes: TCGA92/Sch4C - attribution of TCGA92/Sch4B gains to beneficiaries - history

  • CG39250 · TCGA92/Sch4C - attribution of TCGA92/Sch4B gains to beneficiaries - history
  • CG39255 · TCGA92/Sch4C - outline
  • CG39260 · Schedule 4C pool
  • CG39265 · Outstanding section 2(2) amounts
  • CG39270 · Amount of Schedule 4B trust gains
  • CG39275 · Further transfer of value in later tax year
  • CG39280 · Attribution of gains to beneficiaries who receive capital payments
  • CG39285 · Charge to tax
  • CG39290 · Schedule 4C pool created before 6 April 2008
  • CG39295 · Definition of relevant settlement
  1. Capital Gains Manual: Trusts and Capital Gains Tax: Non-resident trusts: Anti-avoidance legislation – flip-flop schemes: TCGA92/Sch4C - attribution of TCGA92/Sch4B gains to beneficiaries - history: contents
  2. Further transfer of value in later tax year

CG39275 | Further transfer of value in later tax year

From HM Revenue & Customs · Capital Gains Manual

TCGA92/Sch4C/para7B

The trustees of the transferor settlement may make a further transfer of value. The Schedule 4B gains from all transfers of value in the same tax year are included in the same Schedule 4C pool, CG39260. If the further transfer of value is made in a later tax year the treatment depends on whether the trustees have an existing 4C pool at the beginning of that tax year.

If there is an existing Schedule 4C pool:

  • any further Schedule 4B gain, and

  • any further section 2(2) amounts that have accrued in years since the original transfer

are included in the existing Schedule 4C pool.

If there is no existing Schedule 4C pool you create a new one.

A settlement is treated as having a Schedule 4C pool until the end of the tax year in which the gains in the pool are reduced to nil, TCGA92/Sch4C/para7B(4).

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