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Contents

Official guidance
Stamp Duty Land Tax Manual

SDLTM33700 · Special provisions relating to partnerships: Transfers of a chargeable interest from a partnership - Para 18: contents

  • SDLTM33710 · Overview of Para 18
  • SDLTM33720 · Chargeable consideration - Para18(2)
  • SDLTM33730 · Sum of the lower proportions - Para20. Example 1
  • SDLTM33740 · Sum of the lower proportions - Para20. Example 2
  • SDLTM33750 · Sum of the lower proportions - detailed provisions
  • SDLTM33760 · Example 1 - application of detailed provisions
  • SDLTM33770 · Example 2 - application of detailed provisions
  • SDLTM33780 · Partnership share for the purposes of Para20
  • SDLTM33790 · Chargeable consideration includes rent - Para19
  • SDLTM33800 · Chargeable consideration includes rent - Para19, example
  • SDLTM33810 · Transfer of a chargeable interest from a partnership to a partnership - Para23
  • SDLTM33820 · Transfer of a chargeable interest from a partnership to a partnership - Example 1
  • SDLTM33830 · Transfer of a chargeable interest from a partnership to a partnership - example 2
  • SDLTM33840 · Transfer of a chargeable interest from a partnership consisting wholly of bodies corporate - Para 24
  • SDLTM33850 · Transfer of a chargeable interest from a partnership consisting wholly of bodies corporate - Example
  • SDLTM33860 · Transfer of a chargeable interest from a partnership consisting wholly of bodies corporate - Example 2
  • SDLTM33870 · Transfer of a chargeable interest from a partnership consisting wholly of bodies corporate - Example 3
  1. Special provisions relating to partnerships: Transfers of a chargeable interest from a partnership - Para 18: contents
  2. Sum of the lower proportions - Para20. Example 1

SDLTM33730 | Sum of the lower proportions - Para20. Example 1

From HM Revenue & Customs · Stamp Duty Land Tax Manual

Example 1

A partnership owns a chargeable interest (a freehold property, for example) which it wishes to transfer to a partner, individual A. There are two other partners, individuals B and C. None of the partners are connected to each other for the purposes of schedule 15. Partner A’s partnership share is 30%.

The sum of the lower proportions calculated in accordance with Para20 is 30 - see SDLTM33750. As a result, the chargeable consideration for the purposes of SDLT is (100-30) %, that is 70%.

This equates to the additional proportion of the chargeable interest acquired by Partner A which is identical to the proportion of the chargeable interest previously held by Partners B and C through their interest in the partnership.

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