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Official guidance
Capital Gains Manual

CG47400P · Capital Gains Manual: Companies and Groups of Companies: Groups of companies: Loss streaming from Finance Act 2011

  • CG47400 · Restrictions on use of capital losses: overview
  • CG47405 · Capital loss streaming from 19 July 2011: outline of legislation
  • CG47410 · Capital loss streaming from 19 July 2011: when loss streaming applies
  • CG47415 · Capital loss streaming from 19 July 2011: realised losses: share reorganisations and insurance companies
  • CG47420 · Capital loss streaming from 19 July 2011: group takeovers
  • CG47425 · Capital loss streaming from 19 July 2011: order of set off of losses
  • CG47430 · Capital loss streaming from 19 July 2011: set off of restricted losses: (i) individual company joining a group
  • CG47435 · Capital loss streaming from 19 July 2011: set off of restricted losses: (ii) more than one company joining a group together
  • CG47440 · Capital loss streaming from 19 July 2011: pooled or merged assets
  • CG47445 · Capital loss streaming from 19 July 2011: qualifying corporate bonds
  • CG47450 · Capital loss streaming from 19 July 2011: change in the nature of a trade or business
  • CG47455 · Capital loss streaming from 19 July 2011: losses on assets appropriated as trading stock
  • CG47460 · Capital loss streaming from 19 July 2011: public sector transfers
  • CG47465 · Capital loss streaming from 19 July 2011: company changing group on a no gain/no loss transfer
  1. Capital Gains Manual: Companies and Groups of Companies: Groups of companies: Loss streaming from Finance Act 2011: Contents
  2. Capital loss streaming from 19 July 2011: realised losses: share reorganisations and insurance companies

CG47415 | Capital loss streaming from 19 July 2011: realised losses: share reorganisations and insurance companies

From HM Revenue & Customs · Capital Gains Manual

Share reorganisations, TCGA92/SCH7A/PARA1(9)

If, on a share exchange or other reorganisation, a company issues securities which are capital gains exempt qualifying corporate bonds (QCBs), then TCGA92/S116 applies. The result is that a chargeable gain or allowable loss is computed at the time of the reorganisation, but is deferred, and crystallises for capital gains purposes on a disposal of the QCBs.

Where a reorganisation takes place before a company joins a group and the QCB disposal that crystallises the loss does not take place until afterwards, the loss is nonetheless treated as one that accrued at the time of the reorganisation for the purposes of TCGA92/SCH7A and is restricted.

Detailed guidance on QCBs can be found at CG53709+.

Insurance companies, TCGA92/SCH7A/PARA1(10)

TCGA92/S212 provides for an annual deemed disposal of certain life insurance company holdings in trusts and offshore funds. In determining whether a loss accruing to a company on a disposal under Section 212 is a loss which accrued before the company became a member of the relevant group, the spreading provisions in TCGA92/S213 are disregarded.

Note: Additional rules relating to loss buying were enacted in FA 2006. See CG47020+ for guidance on the rules which apply in priority to TCGA92/SCH7A for accounting periods ending on or after 5 December 2005.

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