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Official guidance
Capital Gains Manual

CG58600P · Shares and securities: particular types of transaction: purchase of its own shares by a company

  • CG58600 · Co.purchases own shares: general: introduction
  • CG58610 · Co.purchases own shares: treated as distribution: general
  • CG58615 · Co.purchases own shares: UK resident company shareholder
  • CG58620 · Co.purchases own shares: repayment/redemption share capital
  • CG58625 · Co.purchases own shares: capital treatment
  • CG58630 · Co.purchases own shares: capital treatment: Condition A
  • CG58635 · Co.purchases own shares: capital treatment: Condition A – benefit of a trade
  • CG58640 · Co.purchases own shares: capital treatment: Condition A – residence and period of ownership
  • CG58641 · Co.purchases own shares: capital treatment: Condition A – reduction of seller’s interest
  • CG58642 · Co.purchases own shares: capital treatment: Condition A – entitlement to profits
  • CG58643 · Co.purchases own shares: capital treatment: Condition A – groups
  • CG58644 · Co.purchases own shares: capital treatment: Condition A – additional requirements
  • CG58645 · Co.purchases own shares: capital treatment: Condition B
  • CG58650 · Co.purchases own shares: capital treatment: CGT liability
  • CG58655 · Co.purchases own shares: capital treatment: Purchasing options
  • CG58660 · Co.purchases own shares: capital treatment: Employee share schemes
  • CG58670 · Co.purchases own shares: capital treatment: Submitting a clearance
  1. Shares and securities: particular types of transaction: purchase of its own shares by a company: contents
  2. Co.purchases own shares: treated as distribution: general

CG58610 | Co.purchases own shares: treated as distribution: general

From HM Revenue & Customs · Capital Gains Manual

A purchase of own shares by a company is often done as a simpler alternative to more complex share reconstructions or organisations. The tax treatment would depend on how the purchase of own shares was carried out.

Any excess of the consideration over the shares’ subscription price would be treated as a distribution under CTA10/S1000(1)B when a company is purchasing its own shares unless the applicable legislation from CTA10/S1033 to S1048 applies.

The disposal proceeds received from the company consist of two elements, a return of the capital on the shares and the balance which is treated as a distribution (in the case of individuals) and subject to Income Tax under ITTOIA05/S383 or qualifying investment income (in the case of companies).

A distribution received by the individual can be subject to Income Tax. There can still be a disposal for Capital Gains Tax purposes. The amount chargeable to CGT would be the total amount of consideration received for the shares, net of any amount subject to Income Tax as per TCGA92/S37.

Additionally, a purchase by a company of its own shares attracts a Stamp Duty liability under FA86/S66 on the return it submits to the Registrar of Companies. See STSM075020 for further details.

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