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Official guidance
Capital Gains Manual

CG51820P · Shares and securities: share reorganisations: consideration paid

  • CG51820 · Share reorganisations: consideration paid: general
  • CG51821 · Share reorganisations: consideration paid: TCGA92 S128 (2)
  • CG51822 · Share reorganisations: consideration paid: provided by shareholder
  • CG51823 · Share reorganisations: consideration paid: foreign stock dividends
  • CG51824 · Share reorganisations: consideration paid: UK stock dividends
  • CG51825 · Share reorganisations: consideration paid: bonus issue
  • CG51840 · Share reorganisations: consideration paid: anti- avoidance
  • CG51842 · Share reorganisations: consideration paid: anti- avoidance
  • CG51844 · Share reorganisations: consideration paid: anti- avoidance: cost restricted
  • CG51845 · Share reorganisations: consideration paid: anti-avoidance: SAV
  • CG51846 · Share reorganisations: consideration paid: anti- avoidance: considerations
  • CG51847 · Share reorganisations: consideration paid: anti- avoidance
  • CG51860 · Share reorganisations: consideration paid: indexation allowance
  • CG51841 · Share reorganisations: consideration paid: anti- avoidance
  • CG51843 · Share reorganisations: consideration paid: anti- avoidance
  1. Shares and securities: share reorganisations: consideration paid: contents
  2. Share reorganisations: consideration paid: foreign stock dividends

CG51823 | Share reorganisations: consideration paid: foreign stock dividends

From HM Revenue & Customs · Capital Gains Manual

You are most likely to see the operation of this rule in the case of stock dividendsdeclared by foreign companies. The company will declare a cash dividend but offer itsshareholders the option of taking up further shares instead of the cash. If a shareholdertakes the shares rather than the cash the company’s assets have not been reduced by payingout the cash. To the extent that the shareholders opt to take their dividend in shares,the effect is similar to a bonus issue for which no consideration is given and you shouldtreat it in the same way. There is guidance on the Case V treatment of such dividends atIM1612.

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