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Official guidance
Remittance Basis and Domicile Manual

RDRM33400 · Remittance Basis: Identifying Remittances: Condition D

  • RDRM33410 · Condition D - Connected operations - overview
  • RDRM33420 · Qualifying disposition - definition
  • RDRM33430 · Connected operation - definition
  • RDRM33440 · Qualifying disposition - full consideration given
  • RDRM33450 · Connected operation - timing of remittance
  • RDRM33460 · Connected operation - involvement of a relevant person
  • RDRM33470 · Connected operation - disregard of certain remittances
  • RDRM33480 · Condition D - relevant debt
  • RDRM33490 · Transitional provisions - arrangements entered into before 6 April 2008
  1. Remittance Basis: Identifying Remittances: Condition D: Contents
  2. Remittance Basis: Identifying Remittances: Condition D: Qualifying disposition - full consideration given

RDRM33440 | Remittance Basis: Identifying Remittances: Condition D: Qualifying disposition - full consideration given

From HM Revenue & Customs · Remittance Basis and Domicile Manual

A ‘qualifying disposition’ does not take place if full consideration is given for the property which is enjoyed in the UK by the relevant person (ITA07/S809O(5)).

This means that Condition D of S809L does not apply where a taxpayer sells property to another person for an amount that is expected in a ‘bargain at arm’s length’, that is broadly the open market value of the property. However Conditions A and B RDRM33100 may be in point instead.

‘Full consideration given’ can include cases where property other than cash money is given in return.

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