Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Inheritance Tax Manual

IHTM34000 · Loss on sale of shares

  • IHTM34001 · Summary
  • IHTM34010 · Background
  • IHTM34011 · Basic conditions
  • IHTM34131 · Qualifying investments: what are qualifying investments?
  • IHTM34132 · Qualifying investments: non-qualifying investments
  • IHTM34134 · Qualifying investments: shares temporarily suspended at the date of death
  • IHTM34135 · Qualifying investments: share option schemes
  • IHTM34136 · Qualifying investments: underwriting deposits
  • IHTM34137 · Qualifying investments: unadministered estates
  • IHTM34138 · Qualifying investments: reversionary interests
  • IHTM34139 · Qualifying investments: shares held by a partnership
  • IHTM34140 · Qualifying investments: foreign stock exchanges
  • IHTM34141 · Qualifying investments: open ended investment companies (OEIC)
  • IHTM34151 · Sales: the basic condition
  • IHTM34152 · Sales: date of sale
  • IHTM34153 · Sales: appropriations
  • IHTM34154 · Sales: exchanges
  • IHTM34155 · Sales: unsaleable investments
  • IHTM34156 · Sales: suspension of shares
  • IHTM34157 · Sales: cancellation of shares
  • IHTM34158 · Sales: Special treatment of shares in Northern Rock & Bradford & Bingley
  • IHTM34161 · Appropriate person: basic condition
  • IHTM34162 · Appropriate person: separate claims by legal personal representatives and trustees
  • IHTM34163 · Appropriate person: death of the legal personal representative or the trustee
  • IHTM34164 · Appropriate person: Personal Equity Plans (PEPs) and Individual Savings Accounts (ISAs)
  • IHTM34171 · Calculating the loss: what is an 'overall loss'?
  • IHTM34172 · Calculating the loss: how is the loss calculated?
  • IHTM34173 · Calculating the loss: value on death
  • IHTM34174 · Calculating the loss: interest on government securities
  • IHTM34175 · Calculating the loss: call
  • IHTM34176 · Calculating the loss: sale value
  • IHTM34177 · Calculating the loss: capital payments
  • IHTM34178 · Calculating the loss: foreign shares or investments
  • IHTM34181 · Changes in shareholdings: changes in the capitalisation of a company
  • IHTM34182 · Changes in shareholdings: date of death value for the whole of a new holding
  • IHTM34183 · Changes in shareholdings: date of death value for investments sold
  • IHTM34184 · Changes in shareholdings: investments forming part of the new holding
  • IHTM34185 · Changes in shareholdings: bonus issues
  • IHTM34186 · Changes in shareholdings: renounced bonus issue
  • IHTM34187 · Changes in shareholdings: rights issue
  • IHTM34188 · Changes in shareholdings: rights sold
  • IHTM34189 · Changes in shareholdings: rights taken up and sold
  • IHTM34190 · Changes in shareholdings: rights not taken up or sold
  • IHTM34191 · Changes in shareholdings: rights disposed of without consideration
  • IHTM34192 · Changes in shareholdings: part of rights sold, balance taken up as shares
  • IHTM34193 · Changes in shareholdings: acquisitions prior to sale
  • IHTM34211 · Restrictions on relief for purchases: introduction
  • IHTM34212 · Restrictions on relief for purchases: the restriction
  • IHTM34213 · Restrictions on relief for purchases: purchases by the ‘appropriate’ person
  • IHTM34214 · Restrictions on relief for purchases: purchases of ‘qualifying investments’
  • IHTM34215 · Restrictions on relief for purchases: prior purchase of similar shares
  • IHTM34220 · Restrictions on relief: part holdings comprised in the deceased’s estate
  • IHTM34230 · Restrictions on relief: loss on sale is greater than the original date of death value
  • IHTM34241 · Attribution of values to specific investments: summary
  • IHTM34242 · Attribution of values to specific investments: payment of ‘call’
  • IHTM34243 · Attribution of values to specific investments: changes in the capitalisation of a company
  • IHTM34244 · Attribution of values to specific investments: purchases of qualifying investments
  • IHTM34245 · Attribution of values to specific investments: example of how values are revised under IHTA84/S187(3)
  • IHTM34020 · Service/Compliance procedures: Introduction
  • IHTM34061 · Service/Compliance procedures: raising enquiries
  • IHTM34090 · FACET procedures: introduction
  • IHTM34091 · FACET procedures: why are forms IHT 35 sent to FACET?
  • IHTM34092 · FACET procedures: summary of checks made in FACET (chart)
  • IHTM34093 · FACET procedures: is the form IHT 35 appropriate for FACET to consider?
  • IHTM34094 · FACET procedures: what checks should you make if a substantial loss has been claimed?
  • IHTM34095 · FACET procedures: what you should do if one or more of the questions at 2 or 3 are answered ‘Yes’
  • IHTM34096 · FACET procedures: non-mandatory referrals from caseworkers
  • IHTM34097 · FACET procedures: suspended or cancelled shares
  • IHTM34098 · FACET procedures: purchase of shares
  • IHTM34099 · FACET procedures: exchanges
  • IHTM34100 · FACET procedures: capital payments
  • IHTM34101 · FACET procedures: call
  • IHTM34102 · FACET procedures: changes in shareholdings
  • IHTM34103 · FACET procedures: bonus issues
  • IHTM34104 · FACET procedures: rights issues
  • IHTM34105 · FACET procedures: options
  • IHTM34106 · FACET procedures: limitations on loss of sale of shares relief
  • IHTM34133 · Qualifying investments: Unlisted Securities Market (USM) shares
  • IHTM34165 · Appropriate person: Sales made by Investment Managers
  1. Loss on sale of shares: contents
  2. Sales: exchanges

IHTM34154 | Sales: exchanges

From HM Revenue & Customs · Inheritance Tax Manual

Exchanges of investments are treated as sales if

  • they take place at a time when the market value of the investments is more than their date of death value, and

  • they are outside IHTA84/S183 (broadly, this means that they are not the result of a reorganisation of share capital, a conversion of securities or, in certain circumstances, an issue of shares or debentures).

If they were not treated in this way there would be nothing to stop the creation of an artificial loss by selling investments that fall in price after the death and exchanging those that rise in price.

For the purposes of the relief, the investments exchanged are treated as sold at the date of exchange for a price equal to their market value. Market value means the value they would have if they were included in the estate of a person who died at that time, IHTA/S183 (6) and IHTA/S184 (2).

You should note that these rules apply

  • whether or not there is any payment by way of equality of exchange, and

  • regardless of the nature of the property taken in exchange.

Transactions within IHTA84/S183 are not treated as a sale. The new holding that results from the transaction is treated for the purposes of the relief as being the same as the original holding.

If the appropriate person (IHTM34161) made any exchanges, question 3 on form IHT 35 should be ticked ‘Yes’ and full details should be included with the form.

PreviousNext
PrivacyTerms