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Contents

Official guidance
Venture Capital Schemes Manual

VCM53000 · VCT: investor CG deferral relief

  • VCM53010 · Introduction
  • VCM53020 · Which gains qualify?
  • VCM53030 · Which investments qualify?
  • VCM53040 · Which individuals qualify?
  • VCM53070 · Interaction with disposal relief
  • VCM53080 · How was the relief given?
  • VCM53090 · When is the deferred gain brought back into charge?
  • VCM53100 · Deemed disposals
  • VCM53110 · Share exchanges: where original shares have disposal relief
  • VCM53120 · Share exchanges: where original shares do not have disposal relief
  • VCM53130 · Individual becomes non-resident
  • VCM53140 · Death
  • VCM53150 · How much of the deferred gain is brought back into charge?
  • VCM53160 · Disposals
  • VCM53170 · Share identification rules
  • VCM53180 · Share exchanges: retention of shares
  • VCM53190 · Emigration or loss of approval
  • VCM53200 · Withdrawal or reduction of 'front-end' income tax relief
  • VCM53210 · Share exchanges: where TCGA92/S135 or S136 apply
  • VCM53220 · To whom does the chargeable gain accrue?
  • VCM53300 · Different categories of shares
  • VCM53310 · Rights issues
  • VCM53320 · Share exchanges: company reconstruction
  • VCM53330 · Bonus issues and share reorganisations
  1. VCT: investor CG deferral relief: contents
  2. VCT: investor CG deferral relief: to whom does the chargeable gain accrue?

VCM53220 | VCT: investor CG deferral relief: to whom does the chargeable gain accrue?

From HM Revenue & Customs · Venture Capital Schemes Manual

TCGA92/SCH5C/PARA5

Paragraph 5 gives the rules for determining the person to whom the deferred gain accrues if there is a chargeable event. These rules are necessary because the original investor may have passed the shares to their spouse or civil partner on a transfer to which TCGA92/S58 applied. If there is a chargeable event the gain is assessable on:

  • the person making the disposal,

  • the person who holds the shares at the time of the share exchange or company reconstruction or amalgamation,

  • the person who becomes non-resident,

  • the person who holds the shares when the company’s VCT approval is withdrawn,

  • the person who holds the shares when the ‘front-end’ income tax relief is withdrawn or reduced.

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