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Contents

Official guidance
Stamp Taxes on Shares Manual

STSM041000 · Exemptions and reliefs: exemptions

  • STSM041010 · 'Exemption' or 'relief'
  • STSM041020 · Securities exempt from stamp duty are generally exempt from Stamp Duty Reserve Tax (SDRT)
  • STSM041030 · Stamp Duty Reserve Tax (SDRT) repaid/charge cancelled where an instrument is duly stamped
  • STSM041040 · Government securities and miscellaneous exemptions
  • STSM041050 · Loan capital exemption (Stamp Duty) - general
  • STSM041060 · Loan capital exemption - exceptions
  • STSM041065 · Loan capital exemption – Hybrid Capital Instruments
  • STSM041067 · Loan capital exemption – Securitisation and insurance-linked securities (ILS)
  • STSM041070 · Loan capital exemption - miscellaneous
  • STSM041080 · Securities issued or raised by non-UK companies Stamp Duty Reserve Tax (SDRT)
  • STSM041090 · Granting/issuing of options
  • STSM041100 · Permanent Interest Bearing shares (PIBs)
  • STSM041110 · Sales of Bearer securities - general
  • STSM041120 · Sales of Bearer securities - exemptions
  • STSM041130 · Issue of company stocks and shares
  • STSM041140 · Interests in depositary receipts and equities within unelected clearance services
  • STSM041150 · Charities - Stamp Duty exemption
  • STSM041160 · Charities - Stamp Duty Reserve Tax (SDRT) exemption
  • STSM041170 · Charities - CREST and Stamp Duty Reserve Tax (SDRT)
  • STSM041180 · Depositary interests in foreign securities
  • STSM041190 · Other non-Stamp Duty Acts that apply to stamp duty
  • STSM041200 · Units in a unit trust scheme or shares in an open-ended investment company
  • STSM041210 · Authorised unit trust scheme (and OEIC) mergers
  • STSM041220 · Conversion of an authorised unit trust to an OEIC
  • STSM041230 · Amalgamation of an authorised unit trust with an open-ended investment company
  • STSM041240 · Demutualisation of insurance companies
  • STSM041250 · Treasury shares
  • STSM041260 · Growth market shares - stamp duty exemption
  • STSM041270 · Growth market shares - SDRT exemption
  • STSM041280 · Growth market shares - SDRT exemption - depositary interests/CREST depositary interests
  • STSM041285 · Growth market shares – SDRT and Stamp Duty exemption – Depositary Receipts
  • STSM041290 · Growth market shares - recognised growth markets - how to qualify as a recognised growth market
  • STSM041300 · Growth market shares - recognised growth markets - how to qualify as a recognised growth market - the market capitalisation condition
  • STSM041310 · Growth market shares - recognised growth markets - how to qualify as a recognised growth market - 20% compounded annual growth test condition
  • STSM041320 · Growth market shares - recognised growth markets - how to qualify as a recognised growth market - application process
  • STSM041330 · Growth market shares - recognised growth markets - list of recognised growth markets
  • STSM041400 · Exemptions and reliefs: exemptions: exemption for Share Incentive Plans
  • STSM041500 · Exemptions and reliefs: exemptions- Financial institutions in resolution - overview
  • STSM041510 · Exemptions and reliefs: exemptions: Financial institutions in resolution - resolution stabilisation options
  • STSM041520 · Financial institutions in resolution - supplemental, reverse and onward transfers
  • STSM041530 · Financial institutions in resolution - stamp duty exemption on certain transfer instruments and orders
  • STSM041540 · Financial institutions in resolution - stamp duty reserve tax (SDRT) exemption on certain transfer instruments and orders
  • STSM041550 · Financial institutions in resolution: Stamp Duty - exceptions
  • STSM041560 · Qualifying Asset Holding Companies
  • STSM041570 · PISCES Overview
  • STSM041580 · PISCES – Stamp Duty and SDRT Exemption
  • STSM041590 · PISCES – When a transfer is exempt
  • STSM041600 · PISCES – How to claim the exemption
  • STSM041610 · PISCES – Application of other STS reliefs and exemptions in relation to PISCES shares
  • STSM041620 · PISCES – Examples of PISCES share transfers
  • STSM41400 · Exemptions and reliefs: exemptions: exemption for Share Incentive Plans
  1. Exemptions and reliefs: exemptions: contents
  2. Exemptions and Reliefs: Exemptions: amalgamation of an authorised unit trust with an open-ended investment company

STSM041230 | Exemptions and Reliefs: Exemptions: amalgamation of an authorised unit trust with an open-ended investment company

From HM Revenue & Customs · Stamp Taxes on Shares Manual

Regulations 9 and 10 of the Stamp Duty and Stamp Duty Reserve Tax (Open-Ended Investment Companies) Regulations 1997 (SI 1997/1156) exempt, from stamp duty and Stamp Duty Reserve Tax (SDRT) respectively, the amalgamation of an authorised unit trust (AUT) with an Open-Ended Investment Company (OEIC) where:

  • the whole of the property of the AUT is transferred and becomes part, but not the whole, of the property of a new OEIC;

  • the units in the unit trust are extinguished, and consideration shares are issued in proportion to holdings of the extinguished units; and

  • the consideration for the conversion does not include anything else other than the assumption or discharge by the acquiring OEIC of liabilities of the trustees of the target trust.

To take advantage of the stamp duty exemption, the relevant instrument(s) must be adjudicated (STSM022010).

Where the stamp duty or SDRT exemption applies, Regulation 10(3) provides a further exemption from SDRT on agreements to transfer a unit to a fund manager in order that the unit may be extinguished.

For the purposes of these Regulations, the OEIC must be a UK OEIC. Regulation 2 SI 1997/1156 defines an OEIC by reference to Regulation 10(4) SI 1997/1154. In turn Regulation 10(4) SI 1997/1154 defines an OEIC as meaning an ‘open-ended investment company within the meaning given by section 75(8) of the Financial Services Act 1986 [now section 236 Financial Services and Markets Act 2000] which is incorporated in the United Kingdom’.

HMRC confirmed in its SDRT Customer Newsletter Issue No. 7, that units or OEIC shares held as an investment by an AUT or OEIC are ‘property’ or ‘securities’ for the purposes of this exemption and that, accordingly, the exemption applies where the transferring fund’s investments include such units or OEIC shares.

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