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Contents

Official guidance
Capital Gains Manual

CG57800P · Shares and securities: particular types of transaction: capital distributions

  • CG57800 · Capital distributions: introduction
  • CG57828 · Capital distributions: valuation when distribution made in winding up
  • CG57835 · Small capital distributions: introduction
  • CG57837 · Small capital distributions: procedure - years before SA
  • CG57838 · Small capital distributions: tp does not want distribution t/a small
  • CG57839 · Small capital distributions: procedure under Self Assessment
  • CG57840 · Small capital distributions:
  • CG57841 · Small capital distributions: unquoted companies
  • CG57842 · Small capital distributions: overseas companies
  • CG57844 · Small capital distributions: computation: Section 104 holding
  • CG57845 · Small capital distributions: computation: - 1982 holding
  • CG57847 · Small capital distributions: Disposal proceeds more than allowable companies
  • CG57848 · Small capital distributions: computation: Section 104 holding
  • CG57855 · Capital distributions: rights issue: introduction
  • CG57857 · Capital distributions: rights issue: computation
  • CG57858 · Capital distributions: rights issue: no gain/no loss transfer
  • CG57861 · Capital distributions: small: rights issue: no gain/no loss transfer: small capital distribution
  • CG57866 · Capital distributions: rights issue: position of purchaser
  • CG57810 · Capital distributions: definitions
  • CG57814 · Capital distributions: definition: share reorganisation
  • CG57825 · Capital distributions: definition: computations
  • CG57843 · Small capital distributions: overseas companies
  • CG57849 · Small capital distributions: computation: 1982 holding
  • CG57864 · Capital distributions: rights issue: part-disposal of rights
  1. Shares and securities: particular types of transaction: capital distributions: contents
  2. Small capital distributions: tp does not want distribution t/a small

CG57838 | Small capital distributions: tp does not want distribution t/a small

From HM Revenue & Customs · Capital Gains Manual

There may be circumstances in which the taxpayer wants a small capital distribution to be treated as a disposal. If the distribution is treated as a disposal the taxpayer only loses a proportion of the allowable cost and indexation allowance. If TCGA92/S122 (2) applies the allowable cost and indexation allowance is reduced by the full amount of the distribution received. This may not be to the taxpayer’s advantage if any gain would be covered by their annual exempt amount.

Any direction by the Inspector under Section 122(2) can be ignored if the taxpayer would prefer to treat a small capital distribution as a disposal.

NOTE. If a taxpayer is within the charge to Capital Gains Tax, neither indexation allowance nor taper relief apply to disposals of assets on or after 6 April 2008. Previously indexation allowance had been frozen at April 1998. Companies and other concerns within the charge to Corporation Tax are not affected by these changes. For indexation allowance see CG17207+ and for taper relief see CG17895+.

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