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Contents

Official guidance
Stamp Duty Land Tax Manual

SDLTM09500 · Scope: when is Stamp Duty Land Tax (SDLT) chargeable: higher rate charge for acquisitions of residential property by certain non-natural persons FA03/S55/SCH4A

  • SDLTM09505 · Introduction
  • SDLTM09510 · Transactions affected FA03/SCH4A/PARAS3(3)/3(4)
  • SDLTM09515 · What is a ‘higher threshold interest’? FA03/SCH4A/PARA1
  • SDLTM09520 · What is a dwelling? FA03/SCH4A/PARA7
  • SDLTM09525 · When is a property ‘suitable for use as a dwelling’?
  • SDLTM09530 · What is not a dwelling?
  • SDLTM09535 · Purchases of higher threshold interests with other chargeable interests FA03/SCH4A/PARA2
  • SDLTM09540 · Transactions involving more than one interest in the same dwelling FA03/SCH4A/PARA4
  • SDLTM09545 · Return obligations
  • SDLTM09550 · Exclusions from the higher rate charge
  • SDLTM09555 · Property rental businesses FA03/SCH4A/PARA5
  • SDLTM09556 · Use as business premises for the purposes of a qualifying property rental business FA03/SCH4A/Para5
  • SDLTM09560 · Businesses of trading in or redeveloping properties FA03/SCH4A/PARA5
  • SDLTM09565 · Scope: when is Stamp Duty Land Tax (SDLT) chargeable: higher rate charge for acquisitions of residential property by certain non-natural persons FA03/S55/SCH4A:
  • SDLTM09570 · Acquisition for resale as the stock of a property trading business FA03/SCH4A/PARA5
  • SDLTM09575 · Occupation by a non-qualifying individual
  • SDLTM09580 · Meaning of non-qualifying individual FA03/SCH4A/PARA5A
  • SDLTM09585 · Non-qualifying individual - exception to connected persons rule
  • SDLTM09586 · Use for the purposes of a relievable trade FA03/Sch4A/Para5
  • SDLTM09590 · Trades involved in making a dwelling available to the public FA03/SCH4A/PARA5B
  • SDLTM09595 · Meaning of ‘qualifying trade’
  • SDLTM09600 · Meaning of ‘significant part of the interior’
  • SDLTM09605 · Meaning of ‘carried on a commercial basis with a view to the realisation of profits’
  • SDLTM09610 · Opportunity to the public to enjoy etc.
  • SDLTM09615 · Financial institutions acquiring dwellings in the course of lending FA03/SCH4A/PARA5C
  • SDLTM09620 · Dwellings for occupation by certain employees and partners FA03/SCH4A/PARA5D
  • SDLTM09625 · Qualifying employee
  • SDLTM09630 · Qualifying partner
  • SDLTM09635 · 10 per cent or greater share of a company
  • SDLTM09640 · Farmhouses FA03/SCH4A/PARA5F
  • SDLTM09645 · Qualifying farming trade
  • SDLTM09650 · Qualifying farm worker
  • SDLTM09651 · Qualifying Housing Co-operatives
  • SDLTM09652 · Relief for the ‘Homes for Ukraine’ Sponsorship Scheme
  • SDLTM09655 · Withdrawal of relief
  • SDLTM09656 · Withdrawal of relief and the ‘Homes for Ukraine’ Sponsorship Scheme
  • SDLTM09660 · Scope: when is Stamp Duty Land Tax (SDLT) chargeable: higher rate charge for acquisitions of residential property by certain non-natural persons FA03/S55/SCH4A:
  • SDLTM09665 · Withdrawal of relief - trades involved in making a dwelling available to the public
  • SDLTM09675 · Scope: when is Stamp Duty Land Tax (SDLT) chargeable: higher rate charge for acquisitions of residential property by certain non-natural persons FA03/S55/SCH4A:
  • SDLTM09670 · Scope: when is Stamp Duty Land Tax (SDLT) chargeable: higher rate charge for acquisitions of residential property by certain non-natural persons FA03/S55/SCH4A:
  • SDLTM09680 · Withdrawal of relief - farmhouses FA03/SCH4A/PARA5K
  • SDLTM09681 · Withdrawal of relief – qualifying housing co-operatives FA03/SCH4A/PARA5L
  • SDLTM09685 · Further returns when withdrawal conditions apply FA03/S81
  • SDLTM09690 · Alternative finance arrangements FA03/SCH4A/PARA6A
  • SDLTM09695 · Alternative finance arrangements FA03/SCH4A/PARA6B
  • SDLTM09700 · Alternative finance arrangements - withdrawal of relief FA03/SCH4A/PARAS 6D-6I
  • SDLTM09705 · Partnership transactions FA03/SCH15
  • SDLTM09710 · Multiple Dwellings Relief FA03/S58D/SCH6B
  • SDLTM09715 · Exercise of collective rights by tenants of flats FA03/S74
  • SDLTM09720 · Transitional provisions - introduction of higher rate charge FA12/SCH35/PARA10
  • SDLTM09725 · Scope: when is Stamp Duty Land Tax (SDLT) chargeable: higher rate charge for acquisitions of residential property by certain non-natural persons FA03/S55/SCH4A:
  • SDLTM09726 · Transitional provisions – change of rate chargeable from 15% to 17%
  • SDLTM09727 · Transitional provisions – change of rate chargeable from 15% to 17%
  1. Scope: when is Stamp Duty Land Tax (SDLT) chargeable: higher rate charge for acquisitions of residential property by certain non-natural persons FA03/S55/SCH4A: contents
  2. Scope: when is Stamp Duty Land Tax (SDLT) chargeable: higher rate charge for acquisitions of residential property by certain non-natural persons FA03/S55/SCH4A: alternative finance arrangements - withdrawal of relief FA03/SCH4A/PARAS 6D-6I

SDLTM09700 | Scope: when is Stamp Duty Land Tax (SDLT) chargeable: higher rate charge for acquisitions of residential property by certain non-natural persons FA03/S55/SCH4A: alternative finance arrangements - withdrawal of relief FA03/SCH4A/PARAS 6D-6I

From HM Revenue & Customs · Stamp Duty Land Tax Manual

As with transactions where alternative finance arrangements are not used, there is a control period of three years beginning with the effective date of the transaction. The same rules apply for the withdrawal of relief.

In all cases the situation, must be viewed from the perspective of the ‘relevant person’, that is to say the person, other than the financial institution, who has entered into the alternative finance arrangements. This includes considerations of whether a change of circumstances was foreseen and whether it is beyond the control of the relevant person.

In the case of a relevant interest held for a business of letting, trading in or redeveloping properties, the relevant interest must be held by the relevant person throughout the control period. A ‘relevant interest’ means

  • the interest acquired under the ‘second transaction’,

  • the interest purchased in common by a financial institution and another person,

  • any interest transferred to the relevant person as a result of the exercising of rights under the alternative finance arrangements, or

  • any chargeable interest derived from any of these interests.

The obligation to make a further return when withdrawal conditions apply rests with the relevant person, not with the financial institution (which in many cases may have made the return for the first transaction).

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