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Official guidance
Capital Gains Manual

CG51730P · Shares and securities: share reorganisations: definitions

  • CG51730 · Share reorganisations: definitions: original shares
  • CG51745 · Reorganisations of share capital: definition: reorganisation
  • CG51746 · Reorganisations of share capital: bonus and rights issues
  • CG51748 · Reorganisations of share capital: bonus and rights issues: case law
  • CG51750 · Reorganisations of share capital: bonus issue: shares held in treasury
  • CG51755 · Reorganisations of share capital: open offers and vendor placings
  • CG51756 · Reorganisations of share capital: open offers
  • CG51757 · Reorganisations of share capital: compensatory open offers (COOs)
  • CG51758 · Reorganisations of share capital: compensatory open offers (COOs): tax treatment of new shares
  • CG51759 · Reorganisations of share capital: compensatory open offers (COOs): tax treatment of compensation payments
  • CG51763 · Reorganisations of share capital: vendor placings
  • CG51764 · Reorganisations of share capital: open offers and vendor placings: combined issues
  • CG51765 · Reorganisations of share capital: open offers and vendor placings: considerations
  • CG51780 · Reorganisations of share capital: alteration of rights
  • CG51782 · Reorganisations of share capital: alteration of rights: legal requirements
  • CG51783 · Reorganisations of share capital: capital reduction
  • CG51784 · Reorganisations of share capital: capital reduction: foreign companies
  1. Shares and securities: share reorganisations: definitions: contents
  2. Reorganisations of share capital: capital reduction

CG51783 | Reorganisations of share capital: capital reduction

From HM Revenue & Customs · Capital Gains Manual

Although TCGA92/S126(1) includes a reduction of a company's share capital in the definition of reorganisation, there is a significant exception in TCGA92/S126(3). This provides that the reference to a reduction of share capital does not include the paying off of redeemable share capital. If redeemable share capital is paid off it is not a reorganisation of share capital and the shareholders are treated as disposing of those shares unless

  • either the shares are redeemed in a liquidation (in which case there will still be a disposal by the shareholders, see CG40400)

  • or the shares are redeemed for consideration in the form of an issue of new shares or debentures.

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