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Contents

Official guidance
Stamp Taxes on Shares Manual

STSM118000 · Derivatives: introduction to Contracts for Difference

  • STSM118010 · What is a Contract for Difference
  • STSM118020 · How does a Contract for Difference operate?
  • STSM118030 · Hedging a Contract for Difference
  • STSM118040 · Contracts for difference - stamp implications
  1. Derivatives: introduction to Contracts for Difference: contents
  2. Derivatives: introduction to Contracts for Difference: hedging a Contract for Difference

STSM118030 | Derivatives: introduction to Contracts for Difference: hedging a Contract for Difference

From HM Revenue & Customs · Stamp Taxes on Shares Manual

There is a degree of risk or exposure for the writer or issuer of a Contract For Difference (CFD) as a CFD’s performance is based on (or derived from) the movement of the price of an underlying asset, which is outside their direct control.

In this situation a provider (such as a broker) of a CFD can minimise their risk or exposure by purchasing a sufficient quantity of the underlying shares, usually at the time of CFD issue.

This mechanism of minimising risk is called hedging.

The acquisition by the issuer/writer of the CFD of UK ‘chargeable securities’ as a hedge will represent an agreement to transfer for the purposes of an SDRT charge (under section87 Finance Act 1986), unless the issuer is, say, a recognised intermediary that is eligible for relief.

See STSM042050 for further details of intermediary relief.

In a Parliamentary Answer on 21 March 1997 the then Economic Secretary to The Treasury explained that where ‘a dealer buys and holds shares merely to hedge derivative contracts [for which a CFD is a form of derivative] which it has made, that would not be regarded as a business of making investments for the purposes of the excluded business test’. STSM042080 provides fuller details of the Parliamentary Answer.

See STSM031090 for the meaning of chargeable securities.

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