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Contents

Official guidance
Capital Gains Manual

CG51650P · Shares and securities: share identification rules: share identification rules for Corporation Tax: relevant securities: section 108 TCGA 1992

  • CG51650 · Share identification for corporation tax: relevant securities: background
  • CG51651 · Share identification for corporation tax: relevant securities: definition
  • CG51652 · Share identification for corporation tax: relevant securities: the identification rule
  • CG51653 · Share identification for corporation tax: relevant securities: transfer or delivery on particular date
  • CG51654 · Share identification for corporation tax: relevant securities: indexation allowance
  • CG51655 · Share identification for corporation tax: relevant securities: share reorganisations
  • CG51656 · Share identification for corporation tax: relevant securities: held on 31 March 1982 or 6 April 1965
  1. Shares and securities: share identification rules: share identification rules for Corporation Tax: relevant securities: section 108 TCGA 1992: contents
  2. Share identification for corporation tax: relevant securities: definition

CG51651 | Share identification for corporation tax: relevant securities: definition

From HM Revenue & Customs · Capital Gains Manual

Up to 31 March 1996 (for Corporation Tax purposes), or 5 April 1996 (for Income Tax purposes), relevant securities were defined in TCGA92/S108 (1) as

  • securities within the accrued income scheme see CG54500+

  • deep discount securities see CG54600+

  • securities which are, or have at any time been, material interests in a non reporting fund see OFM12000

  • (from 1 April 1996) qualifying corporate bonds, see CG53700.

For advice on QCBs generally, see CG53700 onwards. Note that most QCBs would have been relevant securities even before the definition was extended because they were within the scope of the accrued income scheme, see CG54500+.

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