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Contents

Official guidance
Venture Capital Schemes Manual

VCM22000 · EIS: deferral relief: shares issued before 6 April 1998

  • VCM22010 · Introduction
  • VCM22020 · What gains qualify?
  • VCM22030 · What investments qualify?
  • VCM22040 · Relevant time limits for making the investment
  • VCM22050 · Which individuals qualify?
  • VCM22060 · How is relief given?
  • VCM22070 · When is the deferred gain brought back into charge?
  • VCM22080 · When is the deferred gain brought back into charge: shareholder becomes non-resident
  • VCM22090 · When is the deferred gain brought back into charge: death
  • VCM22100 · How much of the deferred gain becomes assessable?
  • VCM22110 · Taper relief on gain brought back into charge
  • VCM22120 · Disposals
  • VCM22130 · Same day acquisitions: disposals before 6 April 1998
  • VCM22140 · Same day acquisitions: disposals before 6 April 1998: examples
  • VCM22150 · Share reorganisation
  • VCM22160 · Share exchanges
  • VCM22170 · Who is assessable?
  • VCM22180 · Procedure for claims
  • VCM22190 · Procedure for claims: time limits
  • VCM22200 · Procedure for claims: postponement application
  • VCM22210 · Procedure for claims: report to KAI Analysis
  1. EIS: deferral relief: shares issued before 6 April 1998: contents
  2. EIS: deferral relief: shares issued before 6 April 1998: taper relief on gain brought back into charge

VCM22110 | EIS: deferral relief: shares issued before 6 April 1998: taper relief on gain brought back into charge

From HM Revenue & Customs · Venture Capital Schemes Manual

The deferred gain is treated as accruing at the time of the chargeable event listed in VCM22070. The gain is not recomputed to give further indexation allowance from the date of the original disposal to the date of the chargeable event or April 1998. FA98 froze indexation allowance at April 1998 except for companies, see CG17207.

Taper relief, see CG17895 onwards, should be computed on the amount of the deferred gain accruing as if the accrual occurred on the date of the original disposal. There is no further taper relief due from the date of the original disposal to the date of the chargeable event. Any gain or loss accruing on the disposal of EIS shares themselves in respect of the period for which they were held is treated separately.

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