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Official guidance
Capital Gains Manual

CG54500P · Shares and securities: securities: accrued income scheme

  • CG54500 · Securities: Accrued Income Scheme: general
  • CG54504 · Securities: Accrued Income Scheme: transfer with accrued interest
  • CG54506 · Securities: Accrued Income Scheme: transfer without accrued interest
  • CG54508 · Securities: Accrued Income Scheme: disposals which are not transfers
  • CG54509 · Securities: Accrued Income Scheme: transfer with unrealised interest
  • CG54510 · Securities: Accrued Income Scheme: conversion of securities
  1. Shares and securities: securities: accrued income scheme: contents
  2. Securities: Accrued Income Scheme: disposals which are not transfers

CG54508 | Securities: Accrued Income Scheme: disposals which are not transfers

From HM Revenue & Customs · Capital Gains Manual

TCGA92/S119 (7) deals with events which are disposals for Capital Gains Tax purposes but which are not transfers for the purposes of the Accrued Income Scheme. A typical example is the deemed disposal under TCGA92/S178 when a company leaves a group of companies still owning an asset acquired from another member of the group, see CG45400+. These deemed disposals are treated as transfers if the Accrued Income Scheme legislation would have applied at the date of disposal if the disposal had been a transfer. They are treated as disposals with accrued interest if the taxpayer would be entitled to the next interest payment and disposals without accrued interest if the taxpayer would not be entitled to the next interest payment.

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