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Official guidance
Life Assurance Manual

LAM03000 · Calculation of 'I' Income and chargeable gains

  • LAM03010 · Income and gains within ‘I’: Overview of tax basis
  • LAM03020 · Calculation of ‘I’ Income and chargeable gains: FA12/S73 Steps 1 and 2: Computing ‘I’- overview and identification of assets: FA12/S74-75
  • LAM03030 · Calculation of ‘I’ Income and chargeable gains: FA12/S73 Step 1: What is included as income: FA12/S74
  • LAM03040 · Calculation of ‘I’ Income and chargeable gains: Main sources of BLAGAB investment return – summarised tax treatment
  • LAM03050 · Calculation of ‘I’ Income and chargeable gains: Other potential sources of income and gains: intra-life company and intragroup transfers, substantial shareholdings exemption (SSE)
  • LAM03060 · Calculation of ‘I’ Income and chargeable gains: Loan relationships, derivative contracts and intangible fixed assets: non trading treatment of credits and deficits: FA12/S74(1): FA12/S88 : CTA09/S388-391
  • LAM03070 · Calculation of ‘I’ Income and chargeable gains: Derivatives not treated as loan relationships CTA09/Part 7: FA12/S74(1)(c)
  • LAM03080 · Calculation of ‘I’ Income and chargeable gains: Land and property - separate property business and losses from property business FA12/S74(1)(a)
  • LAM03090 · Calculation of ‘I’ Income and chargeable gains: Miscellaneous income and losses: FA12/S74(1)(j): FA12/S89
  • LAM03100 · Calculation of ‘I’ Income and chargeable gains: Stock lending and Repos: TCGA92/S263B-C, CTA09/S546
  • LAM03200 · Calculation of ‘I’ Income and chargeable gains: Step 2 FA12/S73: Calculating BLAGAB chargeable gains - an overview: FA12/S75
  • LAM03210 · Calculation of ‘I’ Income and chargeable gains: Box transfers: FA12/S116
  • LAM03220 · Calculation of ‘I’ income and chargeable gains: Life companies as chargeable gains group members
  • LAM03230 · Calculation of ‘I’ Income and chargeable gains: Transactions in shares: share pooling rules: FA12/S119-121
  • LAM03300 · Collective investment schemes - annual deemed disposal: overview: TCGA92/S212
  • LAM03310 · Calculation of ‘I’ income and chargeable gains: Collective investment schemes annual deemed disposal – categories of funds: TCGA92/S212
  • LAM03320 · Calculation of ‘I’ Income and chargeable gains: Collective investment schemes not subject to TCGA92/S212
  • LAM03330 · Calculation of ‘I’ Income and chargeable gains: Spreading of deemed disposal gains: TCGA92/S212
  • LAM03340 · Calculation of ‘I’ Income and chargeable gains: Deemed disposals loss offset and carry back: TCGA92/S213(3)
  • LAM03350 · Calculation of ‘I’ Income and chargeable gains: Deemed disposals: cessation/transfer of business; seeding an authorised contractual scheme (ACS): losses on disposal to connected 'authorised fund manager'
  • LAM03400 · Calculation of ‘I’ Income and chargeable gains: FA12/S73 Step 2: Allowable losses that are not BLAGAB allowable losses: FA12/S95: TCGA92/210A
  • LAM03410 · Calculation of ‘I’ Income and chargeable gains: FA12/S73 Step 2: Calculating the shareholders’ share of BLAGAB chargeable gains TCGA92/S210A(2)
  • LAM03420 · Calculation of ‘I’ Income and chargeable gains: FA12/S73 Step 2: Calculating the shareholders’ share of BLAGAB allowable losses: TGGA92/S210A(6)-(9)
  • LAM03430 · Calculation of ‘I’ Income and chargeable gains: Unrelieved General Annuity Business (GAB) losses
  • LAM03500 · Calculation of ‘I’ Income and chargeable gains: FA12/S73 Step 3: Calculate deemed ‘I-E’ receipts FA12/S92
  • LAM03510 · Calculation of ‘I’ Income and chargeable gains: FA12/S73 Step 3: minimum profits test FA12/S93 and S94 adjustments
  • LAM03520 · Calculation of ‘I’ Income and chargeable gains: FA12/S73 Step 4: CTA09/S388 deduction for non-trading deficits
  • LAM03600 · Calculation of ‘I’ Income and chargeable gains: Chargeable gains from venture capital limited partnerships (VCIPs) TCGA92/SCH7AD: Overview
  • LAM03610 · Calculation of ‘I’ Income and chargeable gains: Chargeable gains from venture capital limited partnerships (VCIPs) TCGA92/SCH7AD: Acquisition cost of the deemed single asset
  • LAM03620 · Calculation of ‘I’ Income and chargeable gains: Chargeable gains from venture capital limited partnerships TCGA92/SCH7AD: Disposals
  • LAM03630 · Calculation of ‘I’ Income and chargeable gains: Chargeable gains from venture capital limited partnerships TCGA92/SCH7AD: Deemed disposals: computational rules for part-disposals
  • LAM03640 · Calculation of ‘I’ Income and chargeable gains: Chargeable gains from venture capital limited partnerships: Scope and conditions of TCGA92/SCH7AD
  • LAM03650 · Calculation of ‘I’ Income and chargeable gains: Chargeable gains from venture capital limited partnerships TCGA92/Sch7AD: Interaction with other legislation
  • LAM03700 · Calculation of ‘I’ Income and chargeable gains: Transactions in shares: share exchanges (where SSE does not apply)
  • LAM03710 · Calculation of ‘I’ Income and chargeable gains: Transactions in shares: Bed and breakfasting: TCGA92/210B
  • LAM03720 · Calculation of ‘I’ Income and chargeable gains: Transactions in shares: substantial shareholdings exemption (SSE) TCGA92/SCH7AC
  • LAM03730 · Calculation of ‘I’ Income and chargeable gains: Substantial shareholdings exemption (SSE): the interaction of the SSE rules and other life tax rules
  • LAM03740 · Calculation of ‘I’ Income and chargeable gains: Substantial shareholdings exemption (SSE) and chargeable gains on loan relationships and derivative contracts
  1. Calculation of 'I' Income and chargeable gains
  2. Calculation of 'I' Income and chargeable gains: Collective investment schemes - annual deemed disposal: overview: TCGA92/S212

LAM03300 | Calculation of 'I' Income and chargeable gains: Collective investment schemes - annual deemed disposal: overview: TCGA92/S212

From HM Revenue & Customs · Life Assurance Manual

Holdings in authorised unit trusts (and other collective investment vehicles) are subject to an annual deemed disposal and reacquisition at market value for chargeable gains purposes TCGA92/S212.

The deemed disposal and reacquisition arises at the end of an accounting period, on the following assets held by an insurance company for the purposes of its long-term business:

Asset typeDescriptionFurther References
Authorised Unit Trust – an authorised investment fund ‘AIF’SI2006/964IFM02000
Open ended investment Company (OEIC) – also an AIFSI2006/964/Regulation 98IFM02130
Offshore fundsTIOPA2010/PART8 and SI2009/3001IFM12000
Authorised contractual scheme- co-ownership scheme (ACS)TCGA92/103D, SI2013/1400IFM08000
UK Real Estate Investment Trust (REIT)CTA10/S518IFM21000

All bond funds, whether UK funds or offshore funds, are treated as loan relationships within CTA09/PT6/CH3 are not within TCGA92/S212.

More detail on each of these categories is included in the relevant HMRC manuals (see LAM03310).

The deemed disposal only applies to assets to the extent that they are referable to BLAGAB (using the apportionment rules LAM05000) TCGA92/S213(1A)).

The impact of being included in the deemed disposal rule is summarised below:

  • a disposal and immediate reacquisition is deemed to take place at market value at the end of the accounting period, then

  • the gain or loss referable to BLAGAB is determined under FA12/S99-101 using a commercial method FA12/S98

  • any net gain arising from the deemed disposals is spread over seven years FA12/S213. See example in LAM03330

  • any net loss arising from the deemed disposals can be spread over seven years or carried back two years (most recent years first). Offset for carry back is against the net gain from the deemed disposals in the carry back year before spreading. See example in LAM03340.

  • for each accounting period the sum of spread forward chargeable gains and/or allowable losses feeds into the calculation of BLAGAB chargeable gains FA12/S75

These rules aim to ensure that gains are not indefinitely deferred by holding investments within collectives, such as UK equity OEICs that are exempt from tax on chargeable gains. The flexibility in loss carry back contained in the rules recognises that temporary fluctuations in value may create large gains followed by losses which may be due to the timing of the year end and temporary fluctuations rather that reflecting real overall gains.

There are in addition special rules covering:

  • cessations and transfers of business TCGA92/S213(4) and TCGA/S213ZA LAM13040

  • seeding an Authorised Contractual Scheme TCGA92/S118 LAM03350

  • losses on transfers to a connected authorised investment manager TCGA92/S210C LAM03350

The application of S212 provisions to the different categories of funds is further set out in LAM03310

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