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Official guidance
Capital Gains Manual

CG73920P · Non-resident capital gains (NRCG) and the exemptions: disposals from 6 April 2019

  • CG73922 · NRCG and the exemptions: Disposals from 6 April 2019: Interests in UK land
  • CG73924 · NRCG and the exemptions: Disposals from 6 April 2019: Residential property gains
  • CG73926 · NRCG and the exemptions: Disposals from 6 April 2019: Dwelling and disposing of residential property
  • CG73928 · NRCG and the exemptions: Disposals from 6 April 2019: Institutional buildings
  • CG73930P · NRCG and the exemptions: disposals from 6 April 2019: indirect disposals
  • CG73960P · NRCG and the exemptions: disposals from 6 April 2019: computational rules for CGT from 6 April 2019
  • CG73970P · NRCG and the exemptions: disposals from 6 April 2019: computational rules for CT from 6 April 2019
  • CG73980 · NRCG and the exemptions: Disposals from 6 April 2019: Specific occasions where person was not chargeable before 6 April 2019
  • CG73984 · NRCG and the exemptions: Disposals from 6 April 2019: Unascertainable consideration
  • CG73986 · NRCG and the exemptions: disposals from 6 April 2019: interactions with gift hold-over and other reliefs
  • CG73988 · NRCG and the exemptions: Disposals from 6 April 2019: Interactions with exit charges: Deemed disposals on exiting the UK
  • CG73990 · NRCG and the exemptions: Disposals from 6 April 2019: Attribution of gains to other persons
  1. Non-resident capital gains (NRCG) and the exemptions: disposals from 6 April 2019: contents
  2. NRCG and the exemptions: Disposals from 6 April 2019: Specific occasions where person was not chargeable before 6 April 2019

CG73980 | NRCG and the exemptions: Disposals from 6 April 2019: Specific occasions where person was not chargeable before 6 April 2019

From HM Revenue & Customs · Capital Gains Manual

TCGA92\Sch4AA

A person is treated as not chargeable before 6 April 2019, if immediately before that date the person was:

  • A company that was not closely-held

  • A widely marketed scheme

  • A company carrying on life assurance business (FA2012/s56). Also see TCGA92/Sch4AA para 2(4)(c).

The detail of the provisions of para 2(4) to (8) is not replicated here. Additional guidance on ‘a closely-held company’ and ‘widely-marketed scheme’ is in CG73722 onwards.

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