Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Capital Gains Manual

CG61900P · Reliefs: Relief on compulsory acquisition of land

  • CG61900 · Roll-over relief: compulsory acquisition of land: introduction
  • CG61906 · Roll-over relief: compulsory acquisition of land: new land
  • CG61920 · Roll-over relief: compulsory acquisition of land: obtaining relief
  • CG61930 · Roll-over relief: compulsory acquisition of land: computation of relief
  • CG61932 · Roll-over relief: compulsory acquisition of land: depreciating assets
  • CG61940 · Roll-over relief: compulsory acquisition of land: authority exercising or having compulsory powers
  1. Reliefs: Relief on compulsory acquisition of land: contents
  2. Roll-over relief: compulsory acquisition of land: depreciating assets

CG61932 | Roll-over relief: compulsory acquisition of land: depreciating assets

From HM Revenue & Customs · Capital Gains Manual

TCGA92/S248 (3)

Where the new land is a depreciating asset, such as a short lease, the guidance at CG60295 should be followed with the following modifications.

  • The words `new asset’ should be read as `new land’,

and

  • the cessation of trade use of the new land is not a chargeable occasion in relation to the held-over gain

The claim for relief on the acquisition of land that is a depreciating asset can be replaced by a new claim on the subsequent acquisition of land that is not a depreciating asset. The guidance at CG60295 sets out the conditions that must be met and explains the effect of such a claim.

PreviousNext
PrivacyTerms