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Contents

Official guidance
Stamp Duty Land Tax Manual

SDLTM03600 · Scope: How much is chargeable

  • SDLTM03700 · General guidance on FA03/S50 and FA03/SCH4
  • SDLTM03710 · Costs etc not treated as chargeable consideration
  • SDLTM03720 · Guidance - Chargeable Consideration and Fees
  • SDLTM03725 · Seller’s Estate Agent Fees
  • SDLTM03730 · Estate Agent Introductory Fees
  • SDLTM03735 · Sale by Tender Fees
  • SDLTM03740 · Auction House Fees
  • SDLTM03745 · Finder’s Fee
  • SDLTM03750 · Paying Legal costs of vendor
  • SDLTM03755 · Chargeable Consideration and Fees: Leases
  • SDLTM03800 · Interaction with VAT FA03/SCH4/PARA2
  • SDLTM03900 · Delay in payment FA03/SCH4/PARA3
  • SDLTM04000 · Just and reasonable apportionment FA03/SCH4/PARA4
  • SDLTM04005 · Goodwill
  • SDLTM04010 · Fixtures and fittings
  • SDLTM04015 · Sale of land with associated construction contract - Para 10 Schedule 4 Finance Act 2003
  • SDLTM04020 · Non-cash consideration: Exchanges FA03/SCH4/PARA5
  • SDLTM04030 · Non-cash consideration: Land partitioned FA03/SCH4/PARA6
  • SDLTM04040 · Non-cash consideration: Assumption or release of a debt FA03/SCH4/PARA8
  • SDLTM04042 · Stamp Duty Land Tax on de-enveloping transactions
  • SDLTM04043 · Non-cash consideration: Transfer of property on winding up - loan from shareowners
  • SDLTM04045 · Non-cash consideration: Nil-rate band discretionary trusts
  • SDLTM04050 · Non-cash consideration: Foreign currency FA03/SCH4/PARA9
  • SDLTM04060 · Non-cash consideration: construction or similar works FA03/SCH4/PARA10
  • SDLTM04070 · Non-cash consideration: Services provided FA03/SCH4/PARA11
  • SDLTM04080 · Non-cash consideration: Purchaser is vendor’s employee FA03/SCH4/PARA12
  • SDLTM04090 · Non-cash consideration: Exclusions on the grant of a lease FA03/SCH17A/PARA10
  • SDLTM04100 · Non-cash consideration: New lease granted on the surrender of an old lease FA03/SCH17A/PARA16
  • SDLTM04110 · Non-cash consideration: Receipt of a reverse premium FA03/SCH17A/PARA18
  • SDLTM04120 · Non-cash consideration: Indemnities given by the purchaser FA03/SCH4/PARA16
  • SDLTM04130 · Non-cash consideration: Definition of a major interest in land FA03/S117
  • SDLTM05010 · Contingent, uncertain or unascertained consideration: General FA03/S51
  • SDLTM05020 · Contingent, uncertain or unascertained consideration: Definitions FA03/S51(3)
  • SDLTM05040 · Contingent, uncertain or unascertained consideration: Adjustments under FA03/S80: General
  • SDLTM05050 · Contingent, uncertain or unascertained consideration: Adjustments under FA03/S80: Land transaction return required
  • SDLTM05060 · Contingent, uncertain or unascertained consideration: Adjustments under FA03/S80: Interaction with FA03/SCH10
  • SDLTM06010 · Annuities as consideration: General FA03/S52
  • SDLTM06030 · Annuities as consideration: Amounts of payments unknown FA03/S52(5)
  • SDLTM06040 · Annuities as consideration: No provision for deferral of tax FA03/S52(7)
  • SDLTM06500 · When the transaction involves connected companies FA03/S53
  1. Scope: How much is chargeable: contents
  2. Scope: How much is chargeable: Sale of land with associated construction contract - Para 10 Schedule 4 Finance Act 2003

SDLTM04015 | Scope: How much is chargeable: Sale of land with associated construction contract - Para 10 Schedule 4 Finance Act 2003

From HM Revenue & Customs · Stamp Duty Land Tax Manual

This paragraph deals with determining the chargeable consideration for stamp duty land tax purposes where the V (the vendor) agrees to sell land to the P (purchaser) and V also agrees to carry out work, commonly works of construction, improvement or repair, on the land sold.

HMRC view is that the decision in Prudential Assurance Co Ltd v IRC [1992] STC 863 applies for the purposes of Stamp Duty Land Tax (SDLT) as it did for stamp duty. This is because the basis of the decision was the identification of the subject matter of the transaction and this is as relevant for SDLT as it is for stamp duty.

The identification of the subject matter of the transaction must have regard to the commercial substance of the transaction.

A common example is where land is transferred by V to P and at that date the work on the land either has not started or is incomplete.

In this case the subject matter of the land transaction will normally be the land in its condition at the date of transfer.

In other words the consideration for SDLT purposes will, subject to apportionment as mentioned below, be the consideration attributable to the land, together with the consideration attributable to the work already carried out on the land at the date of transfer.

There may be cases however where the agreement for the sale of the land is so interlocked with the agreement for works that it is not capable of independent completion.

This may occur in particular if the agreements provide that if default occurs on one agreement the other is not enforceable.

In such a case the subject matter of the land transaction will be the land with the works completed, so that the chargeable consideration will be the aggregate consideration.

Where the sale of land and the construction, etc, contract are in substance one bargain, as they were in the Prudential case, there must be a just and reasonable apportionment of the total consideration given for all elements of the bargain in order to arrive at the chargeable consideration for SDLT purposes.

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