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Contents

Official guidance
Stamp Duty Land Tax Manual

SDLTM33100 · Partnerships

  • SDLTM33110 · How is a partnership treated for SDLT purposes: Partnership defined for the purposes of SDLT-Para1
  • SDLTM33120 · How is a partnership treated for SDLT purposes: Partnership personality disregarded - Para2
  • SDLTM33130 · How is a partnership treated for SDLT purposes: Continuity of partnership - Para3
  • SDLTM33140 · How is a partnership treated for SDLT purposes: Partnership not to be regarded as a unit trust scheme-Para4
  1. Partnerships: contents
  2. How is a partnership treated for SDLT purposes: Partnership personality disregarded - Para2

SDLTM33120 | How is a partnership treated for SDLT purposes: Partnership personality disregarded - Para2

From HM Revenue & Customs · Stamp Duty Land Tax Manual

For the purposes of SDLT,

  • a chargeable interest held by or on behalf of a partnership is treated as held by or on behalf of the partners, and

  • a land transaction entered into for the purposes of a partnership is treated as entered into by or on behalf of the partners, and not by or on behalf of the partnership as such.

These provisions apply notwithstanding that the partnership is regarded as a legal person, or as a body corporate, under the law of the country or territory under which it is formed.

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