Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Stamp Duty Land Tax Manual

SDLTM33300 · Partnerships: Special provisions relating to partnerships

  • SDLTM33310 · Special provisions relating to partnerships: Broad effect of the application of the special provisions
  • SDLTM33320 · Special provisions relating to partnerships: Example of the application of the special provisions
  • SDLTM33330 · Special provisions relating to partnerships: Acquisition of an interest in a partnership Para29
  • SDLTM33340 · Special provisions relating to partnerships: Definitions
  • SDLTM33500 · Special provisions relating to partnerships: Transfers of a chargeable interest to a partnership Para 10
  • SDLTM33690 · Special provisions relating to partnerships: Incorporation of limited liability partnership FA03/S65
  • SDLTM33700 · Special provisions relating to partnerships: Transfers of a chargeable interest from a partnership - Para 18: contents
  • SDLTM34000 · Special provisions relating to partnerships: Transfer of interest in a Property Investment partnership
  • SDLTM34080 · Special provisions relating to partnerships: Partnership Interests: application of provisions about exchanges etc. - Para16
  • SDLTM34160 · Special provisions relating to partnerships: Deemed market value where transaction involves a connected company - FA03/S53
  • SDLTM34200 · Special provisions relating to partnerships: Application of Exemptions and Reliefs - Para 25(2)
  • SDLTM34600 · Special provisions relating to partnerships: Stamp Duty implications of Schedule 15
  • SDLTM34610 · Special provisions relating to partnerships: Stamp Duty implications of Schedule15 - Example
  • SDLTM34650 · Special provisions relating to partnerships: Notification of partnership transactions
  1. Partnerships: Special provisions relating to partnerships: contents
  2. Special provisions relating to partnerships: Acquisition of an interest in a partnership Para29

SDLTM33330 | Special provisions relating to partnerships: Acquisition of an interest in a partnership Para29

From HM Revenue & Customs · Stamp Duty Land Tax Manual

Transfers of an interest in a partnership other than a property investment partnership are, in general, not deemed to be land transactions for the purposes of Stamp Duty Land Tax (SDLT).

The only occasions on which a transfer of an interest in a partnership attracts SDLT are certain acquisitions of an interest in

  • a property investment partnership (Para14) or

  • any partnership following a transfer caught by Para17 and 17A

As a result the purchase of an interest in a farming partnership, for example, will not be chargeable to SDLT provided that

  1. farming partnership does not fall within the definition of a property investment partnership (Para14) see SDLTM34030 and

  2. there has not previously been a transfer to the partnership and the provisions of Paras17 or 17A do not apply.

PreviousNext
PrivacyTerms