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Contents

Official guidance
Stamp Duty Land Tax Manual

SDLTM23000 · Reliefs: Group, reconstruction or acquisition relief

  • SDLTM23010 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23011 · Reliefs: Group Tax Bulletin article
  • SDLTM23020 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23030 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23030A · Group, reconstruction or acquisition relief
  • SDLTM23035 · Reliefs: Group, Arrangements
  • SDLTM23040 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23071 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23070 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23080 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23081 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23081a · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23083 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23084 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23085 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23090 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23100 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23201 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23210 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23220 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23230 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23240 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23250 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23260 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23270 · Reliefs: Group, reconstruction or acquisition relief
  • SDLTM23280 · Reliefs: Group, reconstruction or acquisition relief
  1. Reliefs: Group, reconstruction or acquisition relief: contents
  2. Reliefs: Group, reconstruction or acquisition relief

SDLTM23260 | Reliefs: Group, reconstruction or acquisition relief

From HM Revenue & Customs · Stamp Duty Land Tax Manual

Reconstruction and acquisition relief: Withdrawal: Non-exempt transfer following atransaction to which shares acquisition relief applies FA03/SCH7/PARA11(2)

This section applies to the withdrawal of reconstruction or acquisition relief where

  • a chargeable interest has been transferred by means of a transaction that was exempt as a result of share acquisition relief and consequently relief has not been withdrawn due to FA03/SCH7/PARA10(5). See SDLTM23240

  • there is a subsequent non-exempt transfer which changes control of the company which obtained shares in the acquiring company

The effect of this is to withdraw relief when control of a company which holds sharesin the company that acquired the land changes after relief has been claimed. A furtherland transaction return and payment should be made. See SDLTM50400.

Withdrawal of reconstruction or acquisition relief occurs where

  • reconstruction or acquisition relief has been claimed by the acquiring company on a relevant transaction

  • that relief has not been withdrawn because control of the acquiring company changed as a result of a transaction that was exempt becauseof share acquisition relief, but

  • control of the company which obtained shares in the acquiring company as a result of that transaction (or that are derived from those shares) subsequently changes

    • before the end of a period of three years beginning with the effective date of the relevant land transaction (that is the transaction which originally transferred the chargeable interest)

    • in pursuance of or in connection with arrangements made before the end of a period of three years beginning with the effective date of the relevant land transaction

    • the company still holds the shares (or shares derived from those shares) transferred as a result of the transaction to which share acquisition relief applied and

    • the acquiring company or a relevant associated company, at that time (“the relevant time”), holds a chargeable jinteres that

    • was transferred to the acquiring company by the relevant land transaction

    • is derived from the interest that was transferred

    • provided the chargeable interest has not subsequently been acquired at market value by means of a chargeable land transaction where reconstruction or acquisition relief was available but was not claimed

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