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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: Notification of partnership transactions

SDLTM34650 | Special provisions relating to partnerships: Notification of partnership transactions

From HM Revenue & Customs · Stamp Duty Land Tax Manual

Where the chargeable consideration computed in accordance with the rules within Part 3 exceeds the limits set in FA03/S77A, the purchaser is required to submit an SDLT return within the time limit specified in FA03/S76 - see SDLTM00330

Para 30 sets out how this rule applies to transactions within Para14 and Para17.

A transaction which is a chargeable transaction by virtue of Para 14 or Para17 (transfer of partnership interest) is a notifiable transaction if (but only if) the consideration for the transaction exceeds the zero rate threshold.

The consideration for a transaction exceeds the zero rate threshold if either or both of the following conditions are met—

  1. the relevant consideration for the purposes of FA03/S55 (amount of tax chargeable: general) is such that the rate of tax chargeable under that section is 1% or higher;

  2. the relevant rental value for the purposes of FA03/Sch5 (amount of tax chargeable: rent) is such that the rate of tax chargeable under that Schedule is 1% or higher.

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