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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: extended qualifying holding period: Taper relief does not apply to gains accruing or treated as accruing after 5 April 2008

VCM25030 | EIS: taper relief for serial investments: extended qualifying holding period: 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/SCH5BA/PARA3

If the whole or part of the deferred gain is revived because of a disposal of shares in the second company, the qualifying holding period which applies in relation to the gain for taper relief purposes is treated as beginning when the shares in the first company were acquired and ending when the shares in the second company were disposed of.

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