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Official guidance
Capital Gains Manual

CG67800C · Reliefs: Employee Ownership Trusts

  • CG67800 · Reliefs: employee-ownership trusts: introduction
  • CG67801 · Reliefs: employee-ownership trusts: the new rules
  • CG67802 · Reliefs: employee-ownership trusts: statute
  • CG67810 · Reliefs: employee-ownership trusts: claims
  • CG67820 · Reliefs: employee-ownership trusts: conditions: the eight 'relief requirements'
  • CG67821 · Reliefs: employee-ownership trusts: conditions: the 'trading requirement'
  • CG67822 · Reliefs: employee-ownership trusts: conditions: the 'all-employee benefit requirement'
  • CG67823 · Reliefs: employee-ownership trusts: conditions: the 'controlling interest requirement'
  • CG67824 · Reliefs: employee-ownership trusts: conditions: the 'limited participation requirement'
  • CG67825 · Reliefs: employee-ownership trusts: conditions: the 'related disposal requirement': relevant only to TCGA92/S236H
  • CG67826 · Reliefs: employee-ownership trusts: The ‘trustee residence requirement’
  • CG67827 · Reliefs: employee-ownership trusts: The ‘trustee independence requirement’
  • CG67828 · Reliefs: employee-ownership trusts: The ‘consideration requirement’
  • CG67830 · Reliefs: employee-ownership trusts: conditions: the 'trading requirement': trading company
  • CG67831 · Reliefs: employee-ownership trusts: conditions: the 'trading requirement': principal company of a trading group
  • CG67835 · Reliefs: employee-ownership trusts: conditions: the 'all-employee benefit requirement'
  • CG67836 · Reliefs: employee-ownership trusts: conditions: the 'all-employee benefit requirement': 'authorised transfer'
  • CG67837 · Reliefs: employee-ownership trusts: conditions: the 'all-employee benefit requirement': the 'equality requirement'
  • CG67838 · Reliefs: employee-ownership trusts: conditions: the 'all-employee benefit requirement' and the 'equality requirement': 'eligible employee'
  • CG67839 · Reliefs: employee-ownership trusts: conditions: the 'all-employee benefit requirement' and the 'equality requirement': 'excluded participator'
  • CG67840 · Reliefs: employee-ownership trusts: conditions: the 'all-employee benefit requirement': the 'equality requirement': circumstances in which requirement not infringed
  • CG67841 · Reliefs: employee-ownership trusts: conditions: the 'all-employee benefit requirement': the 'equality requirement': circumstances in which requirement not infringed
  • CG67844 · Reliefs: employee-ownership trusts: conditions: the 'all-employee benefit requirement': cases in which the requirement is treated as met
  • CG67845 · Reliefs: employee-ownership trusts: conditions: the 'all-employee benefit requirement': cases in which the requirement is treated as met: 'trusts for benefit of employees' condition
  • CG67846 · Reliefs: employee-ownership trusts: conditions: the 'all-employee benefit requirement': cases in which the requirement is treated as met: 'significant interest' condition
  • CG67847 · Reliefs: employee-ownership trusts: conditions: the 'all-employee benefit requirement': cases in which the requirement is treated as met: 'application of settled property' condition
  • CG67848 · Reliefs: employee-ownership trusts: conditions: the 'all-employee benefit requirement': cases in which the requirement is treated as met: 'application of settled property' condition: circumstances in which the 'behaviour requirement' is not infringed
  • CG67849 · Reliefs: employee-ownership trusts: conditions: the 'all-employee benefit requirement': cases in which the requirement is treated as met: 'application of settled property' condition: circumstances in which the 'behaviour requirement' is not infringed
  • CG67850 · Reliefs: employee-ownership trusts: conditions: the 'controlling interest requirement'
  • CG67855 · Reliefs: employee-ownership trusts: conditions: the 'limited participation requirement'
  • CG67856 · Reliefs: employee-ownership trusts: conditions: the 'limited participation requirement': calculating the 'participator fraction'
  • CG67860 · Reliefs: employee-ownership trusts: 'disqualifying events': clawback from vendor period
  • CG67861 · Reliefs: employee-ownership trusts: 'disqualifying events': following the initial clawback from vendor period
  • CG67862 · Reliefs: employee-ownership trusts: 'disqualifying events': transitional rules
  • CG67865 · Reliefs: employee-ownership trusts: relief for deemed disposals under TCGA92/S71
  • CG67866 · Reliefs: employee-ownership trusts: relief for deemed disposals under TCGA92/S71: 'disqualifying events': in the next tax year following that in which the deemed disposal took place
  • CG67870 · Reliefs: employee-ownership trusts: identification of shares
  • CG67875 · Reliefs: employee-ownership trusts: defining significant and controlling interests
  • CG67876 · Reliefs: employee-ownership trusts: defining significant and controlling interests: further definitions
  • CG67880 · Reliefs: employee-ownership trusts: transitional provisions
  • CG67890 · Reliefs: employee-ownership trusts: glossary
  1. Reliefs: Employee Ownership Trusts: contents
  2. Reliefs: employee-ownership trusts: identification of shares

CG67870 | Reliefs: employee-ownership trusts: identification of shares

From HM Revenue & Customs · Capital Gains Manual

TCGA92/S236S

Special rules for identification of shares apply where the trustees of a settlement hold

  • shares that were acquired in either of the situations described in CG67801, that is where there was an actual or deemed disposal of the shares that qualified for relief, and which have not subsequently been disposed of and reacquired, known as ‘EOT exempt shares’, and

  • shares other than those above that would be of the same class but for the provisions of TCGA92/S104(4A), see CG51576.

For these purposes shares in a company are not to be treated as being of the same class unless,

  • they are so treated by the practice of a recognised stock exchange, or

  • would be so treated if they were dealt with on such an exchange.

If the trustees dispose of only some of the shares so held, they can determine what proportion of the shares disposed of are ‘EOT exempt shares’. This is subject to the trustees holding sufficient ‘EOT exempt shares’ prior to the disposal. Where the trustees are treated as making a deemed disposal falling within CG67861 or CG67862, the rules do not permit them to mitigate the effect of it by exercising such choice.

Because of the ‘no gain/no loss’ mechanism by which relief was given on their acquisition, ‘EOT exempt shares’ may stand at a considerable gain in the trustees’ hands. This provision allows the trustees to avoid crystallising some or all of that gain on disposals where they also hold other shares carrying a lesser gain.

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