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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: share exchanges: company reconstruction

VCM53320 | VCT: investor CG deferral relief: share exchanges: company reconstruction

From HM Revenue & Customs · Venture Capital Schemes Manual

TCGA92/S151B (5)

A share exchange or a scheme of company reconstruction is treated as a share reorganisation under the general rules described at CG52579 onwards. Section 151B(5) disapplies the share reorganisation rules in such circumstances if:

  • the taxpayer has a holding of shares within (a) or (b) of VCM53300, and

  • the new assets are not ordinary shares in a VCT.

In practice you are most likely to see the operation of this rule when a company which is not a VCT takes over a company which is. The effect of disapplying the share reorganisation rules is that the share exchange is treated as a disposal. Because the shares within (a) and (b) of VCM53300 are exempt from CGT there will be no chargeable gain or allowable loss in respect of the shares themselves. Treating the transaction as a disposal will bring back into charge any deferred gain on shares falling within VCM53300 (a). See VCM53120 for the treatment of share exchanges involving original shares within VCM53300 (c) if the newly issued shares are not shares in a VCT.

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