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Official guidance
Capital Gains Manual

CG53719P · Shares and securities: qualifying corporate bonds: interaction of qualifying corporate bond legislation with other sections of the TCGA etc.

  • CG53719 · Qualifying corporate bonds: no gain/no loss transfers
  • CG53720 · Qualifying corporate bonds: Lloyd's Underwriters
  • CG53721 · Qualifying corporate bonds: substantial shareholding exemption
  • CG53722 · Qualifying corporate bonds: gifts
  • CG53723 · Qualifying corporate bonds: taxpayer receives shares/QCBs: charities
  • CG53724 · Qualifying corporate bonds: taxpayer receives shares/QCBs: IHT
  • CG53725 · Qualifying corporate bonds: death and personal representatives
  • CG53726 · Qualifying corporate bonds: Business Asset Disposal Relief
  • CG53727 · Qualifying corporate bonds: identification: general
  • CG53728 · Qualifying corporate bonds: identification: milk marketing boards
  1. Shares and securities: qualifying corporate bonds: interaction of qualifying corporate bond legislation with other sections of the TCGA etc.: contents
  2. Qualifying corporate bonds: Business Asset Disposal Relief

CG53726 | Qualifying corporate bonds: Business Asset Disposal Relief

From HM Revenue & Customs · Capital Gains Manual

FA 2008 introduced Entrepreneurs’ Relief, now named Business Asset Disposal Relief. Although gains that accrue on the disposal of qualifying corporate bonds are not chargeable gains nevertheless such a disposal may trigger a gain that has been deferred under TCGA 1992 section 116(10). The legislation for Business Asset Disposal Relief (TCGA 1992 sections 169H - 169S) contains specific rules for gains that are deferred under section 116(10). The original rules apply from 6 April 2008 to 22 June 2010, CG64160 provides full details. F(No2)A 2010 changed those rules for relevant transactions occurring on or after 23 June 2010. CG64161 provides full details.

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