Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Oil Taxation Manual

OT30440 · Capital gains: extension of ring fence

  • OT30450 · Introduction
  • OT30451 · Material disposals
  • OT30452 · Non material disposals
  • OT30453 · The ring fence rules
  • OT30470 · Roll over relief
  • OT30471 · Assets used in connection with oil fields - disposals made before 22 April 2009
  • OT30472 · Assets used in connection with oil fields - disposals made on or after 22 April 2009
  • OT30473 · Assets used in connection with oil fields - provisional claims for disposals on or after 22 April 2009
  • OT30474 · Assets used in connection with oil fields - prevention of double claims
  • OT30475 · Assets used in connection with oil fields - meaning of ring fence reinvestment and disposal consideration
  • OT30476 · Assets used in connection with oil fields - disposals on or after 22 April 2009 - qualification for roll over relief
  • OT30477 · Assets used in connection with oil fields - disposals on or after 22 April 2009 - qualification for relief under TCGA92\S153
  • OT30479 · Reinvestment after pre trading disposal
  1. Capital gains: extension of ring fence: contents
  2. Capital gains: extension of ring fence: roll over relief

OT30470 | Capital gains: extension of ring fence: roll over relief

From HM Revenue & Customs · Oil Taxation Manual

TCGA92\S152

Except for cases already determined by the Special Commissioners or a Court before 14 May 1987 rollover relief was not available in respect of gains on UK or UK Continental Shelf licence interests where the disposal occurred at any time before 1 July 1999.

From 1 July 1999 rollover relief should be allowed on UK or UK Continental Shelf licences on the basis that they are land occupied and used for the purposes of the trade.

Rollover of gains on UK licences is subject to the restrictions applying to ‘material disposals’ (see OT30451).

PreviousNext
PrivacyTerms