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Contents

Official guidance
Venture Capital Schemes Manual

VCM45000 · Seed Enterprise Investment Scheme (SEIS): Re-investment Relief

  • VCM45010 · Introduction
  • VCM45020 · How re-investment relief is allowed
  • VCM45030 · Time limit for claim
  • VCM45040 · Relief restricted
  • VCM45050 · Income tax relief restricted
  • VCM45060 · Income tax relief restricted: example
  • VCM45070 · Reduction in income tax relief attributable to shares before re investment relief obtained
  • VCM45080 · Reduction in income tax relief attributable to shares before re-investment relief obtained: example
  • VCM45090 · Relief reduced or withdrawn
  • VCM45100 · Relief reduced or withdrawn: examples
  • VCM45110 · Attribution of relief to SEIS shares
  • VCM45120 · Shares transferred to spouse or civil partner
  • VCM45130 · Identification of disposals
  • VCM45140 · Identification of disposals: examples
  • VCM45150 · Assessments
  • VCM45200 · Claims procedure
  1. Seed Enterprise Investment Scheme (SEIS): Re-investment Relief: contents
  2. Seed Enterprise Investment Scheme (SEIS): Re-investment Relief: attribution of relief to SEIS shares

VCM45110 | Seed Enterprise Investment Scheme (SEIS): Re-investment Relief: attribution of relief to SEIS shares

From HM Revenue & Customs · Venture Capital Schemes Manual

TCGA92/SCH5BB/PARA4

The amount of re-investment relief is attributed equally across all the shares in respect of which the claim to relief is made. Thus an apportionment may be made if only some of the shares are disposed of.

If bonus shares are issued without any payment in respect of shares to which re investment relief is attributed and the shares are in the same company, of the same class, and carry the same rights, the relief is attributed proportionately across all the shares, both the original and the bonus shares.

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