Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Community investment tax relief manual

CITM7000 · Withdrawal of relief

  • CITM7005 · Manner of withdrawal
  • CITM7010 · Disposal of loan
  • CITM7020 · Disposal of shares or securities
  • CITM7030 · Identification of securities or shares on disposal
  • CITM7040 · Meaning of “disposal”
  • CITM7050 · Repayment of loan capital
  • CITM7060 · Value received
  • CITM7070 · Value received as repayment of loan
  • CITM7080 · Value received - shares or securities
  • CITM7090 · Value received - meaning of “period of restriction”
  • CITM7100 · Aggregation of receipts of insignificant value
  • CITM7110 · When value is received
  • CITM7120 · When value is not received - meaning of “qualifying payment”
  • CITM7121 · When value is not received - repayment of loans
  • CITM7122 · When value is not received - deposits by CDFI in the course of ordinary banking arrangements
  • CITM7130 · Value received where there is more than one investment
  • CITM7140 · Receipt of value by and from connected persons
  1. Withdrawal of relief: Contents
  2. Withdrawal of relief: Identification of securities or shares on disposal

CITM7030 | Withdrawal of relief: Identification of securities or shares on disposal

From HM Revenue & Customs · Community investment tax relief manual

CTA2010/Part 7/Chapter 6/S264; ITA/s377

Where an investor makes a part disposal of a holding of shares or securities to which community investment tax relief has been attributed it is necessary to identify which shares or securities have been disposed of.

In this context a holding means -

  • securities carrying the same rights, and

  • issued under the same terms,

or

  • shares of the same class,

  • which are held by the investor in the same capacity.

In each case the holding grows or diminishes as the investor acquires or disposes of shares or securities of a similar type.

The identification rules operate on a “first in - first out” (FIFO) principle. Where the holding includes shares or securities that have been acquired on different days, any disposals are treated, for the purposes of both capital gains tax and for the purposes of the CITR scheme, as being disposals of the shares or securities that were acquired earliest. These rules override the normal capital gains tax identification rules.

If securities or shares were acquired, or are treated for capital gains tax purposes as having been acquired, on the same day, any securities or shares to which community investment tax relief is attributable (and which have been held continuously by the investor since they were issued) are treated as being disposed of after any others that were acquired on that day.

PreviousNext
PrivacyTerms