SDLTM09360 | Partnerships – Special Provisions: Section 75C (8A)
From HM Revenue & Customs · Stamp Duty Land Tax Manual
(This page was introduced on 15 January 2020 and updated on 14 May 2021)
When considering the notional land transaction, none of the special provisions of Part 3 of Schedule 15 FA03 will apply as they are specifically excluded by Section 75C(8A).
These special provisions would usually apply to certain transactions which involve the transfer of:
a chargeable interest to a partnership by a partner, or a person connected with them
a chargeable interest from a partnership to a partner, or a person connected with them
an interest in a property investment partnership
While Part 3 of Schedule 15 FA03 is disapplied when looking at the notional transaction, remember that an interest in a property investment partnership is a chargeable interest for the purposes of Section 75A (see SDLTM09350).
For further information on how the provisions would usually operate, see SDLTM33300 onwards.