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Contents

Official guidance
Stamp Duty Land Tax Manual

SDLTM29900 · Relief for transfers involving multiple dwellings

  • SDLTM29901 · Abolition of multiple dwellings relief for SDLT
  • SDLTM29902 · Abolition of multiple dwellings relief for SDLT (01 June 2024): Exchange of contracts on or before 6 March 2024
  • SDLTM29903 · Abolition of multiple dwellings relief for SDLT (1 June 2024): Linked Transactions
  • SDLTM29904 · Abolition of multiple dwellings relief for SDLT – Examples – Linked Transaction Transitional Rules
  • SDLTM29905 · Relief for transfers multiple dwellings: Overview
  • SDLTM29910 · Availability of relief
  • SDLTM29915 · Relevant transactions FA03/SCH6B/PARA2
  • SDLTM29920 · Application to partnership transactions
  • SDLTM29930 · Superior interests FA03/SCH6B/PARA2(6)
  • SDLTM29935 · The tax calculation FA03/SCH6B/PARA4
  • SDLTM29940 · Consideration attributable to interests in dwellings FA03/SCH6B/PARA5(1) - (6)
  • SDLTM29945 · The remaining consideration FA03/SCH6B/PARA5(7)
  • SDLTM29955 · Meaning of "dwelling" FA03/SCH6B/PARA7
  • SDLTM29957 · Treatment of student accommodation
  • SDLTM29960 · "off plan" transactions FA03/SCH6B/PARA7(5)-(6)
  • SDLTM29965 · Further return where number of dwellings is reduced FA03/SCH6B/PARA6
  • SDLTM29970 · Example 1
  • SDLTM29971 · Example 2
  • SDLTM29973 · Example 3
  • SDLTM29975 · Example 4
  • SDLTM29977 · Reliefs for transfers involving multiple dwellings: Example 5
  • SDLTM29979 · Example 6
  • SDLTM29981 · Reliefs for transfers involving multiple dwellings: Example 7
  • SDLTM29983 · Example 8
  • SDLTM29985 · Reliefs for transfers involving multiple dwellings: Example 9
  • SDLTM29987 · Reliefs for transfers involving multiple dwellings: Example 10
  • SDLTM29925 · Exclusions FA03/SCH6B/PARA2(4)
  • SDLTM29950 · Tax due on consideration in the form of rent FA03/SCH6B/PARA4(5)
  1. Relief for transfers involving multiple dwellings: contents
  2. Relief for transfers involving multiple dwellings: Superior interests FA03/SCH6B/PARA2(6)

SDLTM29930 | Relief for transfers involving multiple dwellings: Superior interests FA03/SCH6B/PARA2(6)

From HM Revenue & Customs · Stamp Duty Land Tax Manual

MDR has been abolished for transactions which complete, or which substantially perform (see SDLTM07850), on or after 1 June 2024, subject to special transitional rules (see SDLTM29902+.).

Special transitional rules relating to linked transactions, can be found at SDLTM29903

For the purpose of determining whether a transaction is a relevant transaction, a superior interest (freehold or headlease) over property which includes dwellings is treated as if it were an interest in those dwellings.

Example: a purchaser acquires the freehold of a new block of four flats which are untenanted. The transaction is a relevant transaction.

However, such a superior interest cannot be taken into account for this purpose to the extent that it is a superior interest in relation to a lease over a dwelling which was granted for an initial term of more than 21 years.

Example: a purchaser acquires the freehold of a block of four flats. The transaction is not linked with any other transaction.

  • Where two of the four flats are tenanted under long leases, the transaction is a relevant transaction, the main subject-matter of which includes two dwellings, i.e. the two flats not tenanted under long leases.

  • If three of the four flats are tenanted under long leases, the transaction is not a relevant transaction, because only one flat can be taken into account, i.e. that which is not tenanted.

However, for transactions with an effective date on or after 26 March 2015, where the chargeable interest acquired is a leasehold interest acquired from a qualifying body (see FA03 SCH9 PARA5) under a lease and leaseback arrangement for shared ownership properties falling within FA03 S57A, PARA 2(6) is disapplied. The effect of that disapplication is that multiple dwellings relief will be available for these arrangements if the other conditions are satisfied.

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