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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 not to be regarded as a unit trust scheme-Para4

SDLTM33140 | How is a partnership treated for SDLT purposes: Partnership not to be regarded as a unit trust scheme-Para4

From HM Revenue & Customs · Stamp Duty Land Tax Manual

A partnership is not to be regarded for the purposes of this Part of this Act as a unit trust scheme or an open ended investment company.

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