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Official guidance
Capital Gains Manual

CG77560P · Chattels and other assets: found objects and treasure trove: gains arising from the disposal of found objects

  • CG77560 · Gains: disposal of found objects: chattels
  • CG77570 · Gains: disposal of found objects: treasure: rewards
  • CG77571 · Gains: disposal of found objects: treasure trove: object returned to finder
  • CG77590 · Gains: disposal of found objects: not treasure: owned by finder
  • CG77594 · Gains: disposal of found objects: not treasure: owned by landowner
  • CG77599 · Gains: disposal of found objects: not treasure: agreement between landowner/finder
  • CG77603 · Gains: disposal of found objects: not treasure: example of metal detecting agreement
  • CG77610 · Gains: disposal of found objects: not treasure: ownership not resolved
  • CG77640 · Gains: disposal of found objects: not treasure: example
  1. Chattels and other assets: found objects and treasure trove: gains arising from the disposal of found objects: contents
  2. Gains: disposal of found objects: not treasure: example

CG77640 | Gains: disposal of found objects: not treasure: example

From HM Revenue & Customs · Capital Gains Manual

A has owned land since 1974. On 1 June 2009 he entered into an agreement with B, similar to the one at CG77603, under which B agreed to search his land for objects in exchange for 50% of anything found. (This is not, of course, the only form of agreement that A and B might enter into. Other contracts may have different tax consequences.) In August 2009 B found a Saxon cross a foot below the surface.

In December 2009 the Coroners Court determined that the cross was not treasure and so it was sold at auction by A and B in July 2010 for £200,000. A and B shared the proceeds equally.

The value of the cross at 31 March 1982 is agreed at £20,000. The value of a half share at 1 June 2009 is agreed at £90,000.

The gains accruing to A are as follows: -

  1. Disposal of a half share at 1 June 2009

Disposal Proceeds £90,000

Less Cost 20,000 x 90,000 £10,000

90,000+90,000

CHARGEABLE GAIN £80,000

  1. Disposal of a half share July 2010

£
Disposal Proceeds100,000
LESSCost10,000
CHARGEABLE GAIN90,000

The gain accruing to B is

£
Disposal Proceeds July 2010100,000
LESSCost (June 2009)90,000
CHARGEABLE GAIN10,000
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