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Official guidance
Capital Gains Manual

CG52800P · Shares and securities: company reconstructions and amalgamations: company reconstructions and amalgamations: the company: TCGA92/S139

  • CG52800 · Company reconstructions: company: general
  • CG52803 · Company reconstructions where there is a transfer of business: company: TCGA92 S139: basic conditions
  • CG52806 · Company reconstructions: company: TCGA92/S139: transfer of business
  • CG52810 · Company reconstructions: company: TCGA92 S139: anti-avoidance provisions and clearance procedure
  • CG52814 · Company reconstructions: company: TCGA92/S139 does not apply
  • CG52817 · Company reconstructions: company: TCGA92 S139: dual resident company
  • CG52819 · Company reconstructions: company: TCGA92/S139: unit/investment trusts
  • CG52820 · Company reconstructions: company becoming approved investment trust
  • CG52830 · Company reconstructions: Company becoming a Venture Capital Trust
  • CG52831 · Company reconstructions: company: TCGA92 S139: position where shares issued before 17 April 2002
  1. Shares and securities: company reconstructions and amalgamations: company reconstructions and amalgamations: the company: TCGA92/S139: contents
  2. Company reconstructions: Company becoming a Venture Capital Trust

CG52830 | Company reconstructions: Company becoming a Venture Capital Trust

From HM Revenue & Customs · Capital Gains Manual

TCGA92/S139

TCGA92/S101B applies where a company has acquired assets at no gain/no loss under the provisions of TCGA92/S139 at a time when it was not a Venture Capital Trust, but it later obtains approval as a Venture Capital Trust under ITA2007/S274. The effect of Section 101B is a deemed market value disposal and reacquisition of the assets immediately after the Section 139 transfer. Section 101B produces the same result for Venture Capital Trusts as TCGA92/S101 does for investment trusts. Section 101 is dealt with in CG52820-52823. With certain minor modifications those instructions apply to Venture Capital Trusts as they do to investment trusts. The modifications are

  • any chargeable gain or allowable loss which accrues under Section 101B does so immediately before the time from which the company’s approval under ITA2007/S274 is effective

  • Section 101B does not apply if the company has previously been an investment trust and Section 101(1) has already applied in respect of its acquisition of the asset.

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