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Official guidance
Capital Gains Manual

CG45900P · Capital Gains Manual: Companies and Groups of Companies: Groups of companies: Groups: Particular Aspects

  • CG45900 · Groups: appropriations to and from trading stock: outline
  • CG45902 · Groups: appropriations to and from trading stock: insurance companies
  • CG45905 · Groups: appropriations to trading stock
  • CG45910 · Groups: appropriations from trading stock
  • CG45920 · Companies and Groups of Companies: Groups of companies: Particular Aspects: loss restriction by reference to capital allowances
  • CG45921 · Groups: loss restriction by reference to capital allowances
  • CG45922 · Groups: loss restriction by reference to capital allowances
  • CG45923 · Groups: loss restriction by reference to capital allowances
  • CG45930 · Groups: business asset roll-over relief, background
  • CG45932 · Groups: business asset roll-over relief: the single group trade rule
  • CG45943 · Groups: business asset roll-over relief: asset owned by non-trading company
  • CG45945 · Groups: business asset roll-over relief: depreciating assets
  • CG45948 · Groups: business asset roll-over relief: the same person rule (1), the general rule
  • CG45949 · Groups: business asset roll-over relief: the same person rule (2), no need to be members at same time
  • CG45950 · Groups: business asset roll-over relief: the same person rule (3), takeovers
  • CG45953 · Groups: business asset roll-over relief: no-gain/no-loss acquisitions do not qualify for relief
  • CG45965 · Groups: modification of compulsory purchase roll-over relief rules
  • CG45970 · Groups: alternative tax collection rights
  • CG45973 · Groups: alternative collection rights: from 1 April 2000
  • CG46100 · Groups: indexation
  • CG46101 · Groups: indexation on no gain/no loss disposals: general
  • CG46110 · Groups: indexation on no gain, no loss disposals: assets held on 31/3/82
  • CG46120 · Groups: restriction of indexation allowance: outline
  • CG46130 · Groups: restriction of indexation allowance: debts on a security
  • CG46131 · Groups: indexation allowance restriction: redeemable preference shares
  • CG46132 · Groups: indexation allowance restriction: not redeemable preference shares
  • CG46140 · Groups: indexation allowance restriction: definitions
  • CG46150 · Groups: indexation allowance restriction: debts on a security
  • CG46165 · Groups: indexation allowance restriction: redeemable preference shares
  • CG46180 · Groups: indexation allowance restriction: not redeemable preference shares
  • CG46195 · Groups: indexation allowance restriction: share reorganisations
  • CG46210 · Groups: indexation allowance restriction: no gain/no loss disposals
  • CG46220 · Groups: indexation allowance restriction: just/reasonable: preference shares
  • CG46221 · Groups: indexation allowance restriction: just/reasonable: ordinary shares
  • CG46300 · Groups: rebasing
  • CG46305 · Groups: rebasing: no gain, no loss disposals after 31 March 1982
  • CG46320 · Groups: rebasing: no gain/no loss disposals on or after 6/4/88
  • CG46330 · Groups: rebasing: no gain, no loss disposals: elections out of kink test
  • CG46350 · Groups: rebasing: deferred charges
  • CG46360 · Groups: rebasing: group elections out of the kink test
  • CG46361 · Groups: rebasing: group elections out of the kink test: general
  • CG46362 · Groups: rebasing: group elections out of the kink test: time limits
  • CG46363 · Groups: rebasing: group elections out of the kink test: groups of companies
  • CG46364 · Groups: rebasing: elections out of kink test: companies joining/leaving group
  • CG46365 · Groups: rebasing: elections out of kink test: relevant time
  • CG46366 · Groups: rebasing: elections out of kink test: outgoing company
  • CG46367 · Groups: rebasing: elections out of kink test: incoming company
  • CG46368 · Groups: rebasing: elections out of kink test: no group election
  • CG46369 · Groups: rebasing: elections out of kink test: joining after relevant time
  • CG46370 · Groups: rebasing: elections out of kink test: first disposal
  • CG46373 · Groups: rebasing: elections out of kink test: time limit: subsidiary co
  • CG46374 · Groups: rebasing: elections out of kink test: late elections
  • CG46375 · Groups: rebasing: elections out of kink test: company joining/leaving
  • CG46390 · Groups: rebasing: elections out of kink test: company takeovers
  • CG46391 · Groups: rebasing: elections out of kink test: takeover
  • CG46392 · Groups: rebasing: elections out of kink test: takeover
  • CG46395 · Groups: rebasing: elections out of kink test: takeovers: time limits
  • CG45971 · Groups: alternative tax collection rights
  • CG45972 · Groups: alternative tax collection rights
  • CG46111 · Groups: indexation on no gain/loss disposals: assets held on 31/3/82
  • CG46112 · Groups: indexation on no gain/loss disposals: assets held on 31/3/82
  • CG46113 · Groups: indexation on no gain/loss disposals: assets held on 31/3/82
  • CG46121 · Groups: restriction of indexation allowance: outline
  • CG46122 · Groups: restriction of indexation allowance: outline
  • CG46123 · Groups: restriction of indexation allowance: outline
  • CG46124 · Groups: restriction of indexation allowance: outline
  • CG46151 · Groups: indexation allowance restriction: debts on a security
  • CG46152 · Groups: indexation allowance restriction: debts on a security
  • CG46153 · Groups: indexation allowance restriction: debts on a security
  • CG46154 · Groups: indexation allowance restriction: debts on a security
  • CG46155 · Groups: indexation allowance restriction: debts on a security
  • CG46166 · Groups: indexation allowance restriction: redeemable preference shares
  • CG46167 · Groups: indexation allowance restriction: redeemable preference shares
  • CG46168 · Groups: indexation allowance restriction: redeemable preference shares
  • CG46169 · Groups: indexation allowance. restriction: redeemable preference shares
  • CG46181 · Groups: indexation allowance restriction: not redeemable preference shares
  • CG46182 · Groups: indexation allowance restriction: not redeemable preference shares
  • CG46183 · Groups: indexation allowance restriction: not redeemable preference shares
  • CG46196 · Groups: indexation allowance restriction: share reorganisations
  • CG46197 · Groups: indexation allowance restriction: share reorganisations
  • CG46198 · Groups: indexation allowance restriction: share reorganisations
  • CG46301 · Groups: rebasing
  • CG46306 · Groups: rebasing: no gain/no loss disposals after 31/3/82
  • CG46331 · Groups: rebasing: No gain/no loss disposals: elections out of kink test
  • CG46371 · Groups: rebasing: elections out of kink test: 1st disposal
  • CG46372 · Groups: rebasing: elections out of kink test: 1st disposal
  1. Capital Gains Manual: Companies and Groups of Companies: Groups of companies: Groups: Particular Aspects: Contents
  2. Groups: alternative collection rights: from 1 April 2000

CG45973 | Groups: alternative collection rights: from 1 April 2000

From HM Revenue & Customs · Capital Gains Manual

From 1 April 2000, FA2000/SCH29/PARA9 revised TCGA92/S190 for gains arising on or after this date. This is one of the amendments consequent upon the removal of the residence restriction in the group definition.

The revised TCGA92/S190 operates where a company (“the taxpayer company”) has been charged to corporation tax on a capital gain and all or part of the corporation tax for the accounting period in which the gain accrued is not paid within six months of the tax becoming payable. In these circumstances a notice requiring payment of the unpaid tax up to the amount of the tax on the gain may be served upon

  • the principal company of the group at the time the gain accrued (this will be the principal company of the group under the extended group definition following FA2000/SCH29, and therefore may not be resident in the UK), or

  • any other company which in the twelve months ending with the time the gain accrued was a member of the group and owned the asset disposed of or any part of it. If the asset is an interest in or right over another asset, the provision extends to any part of either asset.

  • If the taxpayer company is a non-resident, and the gain is chargeable by virtue of TCGA92/S10B*, any person who is or, during the period of twelve months ending with the time when the gain accrued was, a controlling director of the taxpayer company or of a company which has, or within that period had, control over the taxpayer company.

A notice under TCGA92/S190 (after the changes in FA2000/SCH29/PARA9) must be served within three years of the date on which the amount of Corporation Tax payable for the accounting period is finally determined. The notice must

  • state the amount of Corporation Tax which remains unpaid for the accounting period in which the gain accrued, and the date when it became payable

  • require the person to pay the relevant amount within 30 days of the service of the notice.

The relevant amount is the lesser of

  • the amount which remains unpaid of the Corporation Tax assessed on the taxpayer company for the accounting period in which the gain accrued

and

  • an amount equal to Corporation Tax on the amount of chargeable gain at the rate in force when the gain accrued.

Strictly, `the rate in force’ means the higher rate of Corporation Tax where there is more than one rate. Where the taxpayer company is liable at the lower rate on some or all of the gain, that should be taken into account in determining the relevant amount.

If a person is required to pay an amount by a notice under TCGA92/S190 it may be recovered from him as if it were tax due and duly demanded from him. That person is not entitled to any deduction for any amount paid as a result of that notice for the purposes of computing any income, profits or losses for any tax purpose. The payer is entitled to recover any amount paid from the taxpayer company.

You may receive information from Debt Management that tax is unpaid in a case where the provisions outlined in this paragraph could be applied. If there is plenty of time before the time limit specified above for the issue of a notice is due to expire you should draw these provisions to the attention of the taxpayer company and request that it makes the appropriate payment. If this does not lead to payment being made or if the time limit is approaching a short report should be submitted to Capital Gains Technical Group. This report should indicate from whom you consider the tax may be recoverable and, if time limit considerations permit, both the papers for the taxpayer company and those of the possible alternative payer should be attached. As the notice must be issued by the Board you can take no further action at this stage.

*This section was re-written for disposals from 6 April 2019 to section 2B see CG10150.

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