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Official guidance
Venture Capital Schemes Manual

VCM25000 · EIS: taper relief for serial investments

  • VCM25010 · Introduction: Taper relief does not apply to gains accruing or treated as accruing after 5 April 2008
  • VCM25020 · Qualifying gains: Taper relief does not apply to gains accruing or treated as accruing after 5 April 2008
  • VCM25030 · Extended qualifying holding period: Taper relief does not apply to gains accruing or treated as accruing after 5 April 2008
  • VCM25040 · Period when no shares held: Taper relief does not apply to gains accruing or treated as accruing after 5 April 2008
  • VCM25050 · Further deferrals: Taper relief does not apply to gains accruing or treated as accruing after 5 April 2008
  • VCM25060 · VCT investments: Taper relief does not apply to gains accruing or treated as accruing after 5 April 2008
  • VCM25070 · Chargeable event other than a disposal: Taper relief does not apply to gains accruing or treated as accruing after 5 April 2008
  • VCM25080 · Chargeable event other than a disposal: example: Taper relief does not apply to gains accruing or treated as accruing after 5 April 2008
  • VCM25090 · Business or non-business asset: Taper relief does not apply to gains accruing or treated as accruing after 5 April 2008
  • VCM25100 · Business or non-business asset: example 1: Taper relief does not apply to gains accruing or treated as accruing after 5 April 2008
  • VCM25110 · Business or non-business asset: example 2: Taper relief does not apply to gains accruing or treated as accruing after 5 April 2008
  1. EIS: taper relief for serial investments: contents
  2. EIS: taper relief for serial investments: introduction: Taper relief does not apply to gains accruing or treated as accruing after 5 April 2008

VCM25010 | EIS: taper relief for serial investments: introduction: Taper relief does not apply to gains accruing or treated as accruing after 5 April 2008

From HM Revenue & Customs · Venture Capital Schemes Manual

TCGA92/S150D and TCGA92/SCH5BA

FA99/S72 and FA99/SCH7 introduced new rules which, in specific circumstances, allow an extension of the qualifying holding period for taper relief purposes. This extension benefits serial EIS investors by allowing a greater amount of taper relief against a deferred gain which is revived (otherwise known as a gain brought back into charge) on the final disposal. The extension can apply only where the shares in the first EIS company were issued after 5 April 1998 and disposed of after 5 April 1999.

Further detail on the meaning of qualifying holding period is at CG17900 onwards.

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