Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Capital Gains Manual

CG51700P · Shares and securities: share reorganisations: introduction

  • CG51700 · Reorganisations of share capital: introduction: general
  • CG51701 · Reorganisations of share capital: introduction: later disposals of shares: pooling etc
  • CG51702 · Reorganisations of share capital: introduction: apportioning the cost of the new holding
  • CG51703 · Reorganisations of share capital: introduction: qualifying corporate bonds
  1. Shares and securities: share reorganisations: introduction: contents
  2. Reorganisations of share capital: introduction: qualifying corporate bonds

CG51703 | Reorganisations of share capital: introduction: qualifying corporate bonds

From HM Revenue & Customs · Capital Gains Manual

Where qualifying corporate bonds (QCBs) are issued by a company as part of a reorganisation of its share capital the ‘no disposal and no acquisition’ treatment described in CG51700 does not apply to the QCBs. Instead a gain or loss on the original shares is computed but is not charged or allowable until the QCBs are disposed of; TCGA92/S116 (5) and TCGA92/S116 (10) see CG51700 and CG53709+.

Previous
PrivacyTerms