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Official guidance
Capital Gains Manual

CG65400P · Reliefs: private residence relief: private residence relief on the disposal of settled property

  • CG65400 · Private residence relief: settled property: introduction
  • CG65405 · Private residence relief: settled property: what is settled property?
  • CG65406 · Private residence relief: settled property: express trusts
  • CG65407 · Private residence relief: settled property: entitlement to occupy under the terms of an express trust
  • CG65410 · Private residence relief: settled property: express trusts for minor children
  • CG65415 · Private residence relief: settled property: implied trusts
  • CG65420 · Private residence relief: settled property: common intention constructive trusts: is there an express trust?
  • CG65421 · Private residence relief: settled property: common intention constructive trusts: presumption that beneficial ownership follows legal ownership
  • CG65422 · Private residence relief: settled property: common intention constructive trusts: basic conditions
  • CG65423 · Private residence relief: settled property: common intention constructive trusts: establishing common intention
  • CG65424 · Private residence relief: settled property: common intention constructive trusts: common intention must normally exist at the time the property was acquired
  • CG65425 · Private residence relief: settled property: common intention constructive trusts: look for evidence of an agreement before considering conduct
  • CG65426 · Private residence relief: settled property: common intention constructive trusts: common intention - practical issues
  • CG65427 · Private residence relief: settled property: common intention constructive trusts: detriment
  • CG65428 · Private residence relief: settled property: common intention constructive trusts: nature of interest
  • CG65429 · Constructive trusts: other types of constructive trust
  • CG65430 · Constructive trusts: relationship with proprietary estoppel
  • CG65440 · Private residence relief: rules for disposals made on or after 10 December 2003: trustees
  • CG65441 · Restriction of private residence relief: trustees: claim for gift hold-over relief made on or before claim for private residence relief
  • CG65442 · Restriction of private residence relief: trustees: claim for gift hold-over relief made after claim for private residence relief
  • CG65443 · Restriction of private residence relief: trustees: claim for gift hold-over relief is revoked
  • CG65444 · Restriction of private residence relief: trustees: transitional rules: FA2004 Sch22 Para 8
  • CG65445 · Private residence relief: settled property: disposals on or after 10 December 2003: property affected by claim for gift hold-over relief: example
  • CG65446 · Private residence relief: settled property: disposals on or after 10 December 2003: transitional provisions: example
  • CG65447 · Private residence relief: settled property: disposals on or after 10 December 2003: settlements for the maintenance of historic buildings - exception to the general rules
  • CG65450 · Private residence relief: settled property: notice by trustees
  • CG65451 · Private residence relief: settled property: religious communities
  • CG65460 · Private residence relief: personal representatives
  1. Reliefs: private residence relief: private residence relief on the disposal of settled property: contents
  2. Private residence relief: settled property: disposals on or after 10 December 2003: transitional provisions: example

CG65446 | Private residence relief: settled property: disposals on or after 10 December 2003: transitional provisions: example

From HM Revenue & Customs · Capital Gains Manual

TCGA92/S226A

Anthony, in setting up a trust for the benefit of his orphaned niece, gifted a cottage to the trustees on 1 July 1992 and claimed gift hold-over relief under TCGA92/S260. His niece lived in the cottage under the terms of the trust as her only or main residence. She moved out of the house in August 2004 and the trustees decided to sell the cottage and entered into an unconditional contract to sell it on 30 November 2004. The chargeable gain arising on the disposal before any reliefs was £65,000.

Under the transitional provisions in FA2004/SCH22/PARA 8 the trustees are not entitled to private residence relief under TCGA92/S225 in respect of periods on or after 10 December 2003. The trustees’ total period of ownership was 149 months (1 July 1992 to 30 November 2004), of which 137.29 months were in the period before 10 December 2003.

The trustees will need to claim private residence relief, which will be calculated as follows:

DescriptionCalculationAmount
Chargeable gain before private residence relief-£65,000
Fraction eligible for private residence relief137.29 ÷ 149 x £65,000 =£59,892
Chargeable gain-£5,108
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