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Legislation
Taxation of Chargeable Gains Act 1992

Crossheading Employee-ownership trusts

  • Section 236H Disposals to employee-ownership trusts
  • Section 236I Trading requirement
  • Section 236J All-employee benefit requirement
  • Section 236K Further provision about the equality requirement
  • Section 236L Cases in which all-employee benefit requirement treated as met
  • Section 236LA Trustee independence requirement
  • Section 236M Controlling interest requirement
  • Section 236N Limited participation requirement
  • Section 236O No section 236H relief if disqualifying event in next four tax years
  • Section 236P Events which trigger deemed disposal and reacquisition by trustees
  • Section 236Q Relief for deemed disposals under section 71
  • Section 236R No section 236Q relief if disqualifying event in next four tax years
  • Section 236S Identification of shares where section 236H or 236Q applies
  • Section 236T Further provision about significant and controlling interests
  • Section 236U Interpretation of sections 236H to 236U
  1. Employee-ownership trusts
  2. No section 236H relief if disqualifying event in next four tax years

Section 236O | No section 236H relief if disqualifying event in next four tax years F1

From legislation.gov.uk

(1)This section applies where—F1

(a)a disposal is made in circumstances where paragraphs (a) and (b) of section 236H(1) are satisfied, andF1

(b)one or more disqualifying events occur in relation to the disposal in any of the first four tax years following the tax year in which the disposal occurs.F1F2

(2)A “disqualifying event” occurs in relation to the disposal if and when—F1

(za)the trustees of the settlement cease to be resident in the United Kingdom,F1F3

(a)C ceases to meet the trading requirement,F1

(b)the settlement ceases to meet the all-employee benefit requirement,F1

(ba)the settlement ceases to meet the trustee independence requirement,F1F4

(c)the settlement ceases to meet the controlling interest requirement,F1

(d)the participator fraction exceeds 2/5, orF1

(e)the trustees act in a way which the trusts, as required by the all-employee benefit requirement, do not permit.F1

(2A)Where—F1F5

(a)a disqualifying event falling within subsection (2)(za) occurs (trustees cease to be resident in the United Kingdom),F1F5

(b)the event only occurs as a result of the death of a trustee of the settlement, andF1F5

(c)within the period of 6 months beginning with the death of the trustee, the trustees become resident in the United Kingdom,F1F5

the disqualifying event is to be ignored.

(2B)Where—F1F5

(a)a disqualifying event falling within subsection (2)(ba) occurs (trustee independence requirement ceases to be met),F1F5

(b)the event only occurs as a result of—F1F5

(i)the death of a trustee of the settlement, orF1F5

(ii)the death of a director of a company that is a trustee of the settlement, andF1F5

(c)within the period of 6 months beginning with that death, the settlement meets the trustee independence requirement,F1F5

the disqualifying event is to be ignored.

(3)No claim for relief under section 236H may be made in respect of the disposal on or after the day on which the disqualifying event (or, if more than one, the first of them) occurs.F1

(4)Any claim for relief under section 236H made in respect of the disposal before that day is revoked, and the chargeable gains and allowable losses of any person for any chargeable period are to be calculated as if that claim had never been made.F1

(5)Such adjustments must be made in relation to any person, whether by the making of assessments or otherwise, as are required to give effect to subsection (4) (regardless of any limitation on the time within which any adjustment may be made).F1

(6)Section 236H(5) (restrictions on application of section 236L) applies for the purposes of subsection (2)(b).F1

(7)Section 236N(4) applies for the purposes of subsection (2)(d) as it applies in relation to section 236N(2)(b) and (3).F1

Notes

  1. F1

    Ss. 236H-236U and cross-heading inserted (with effect in accordance with Sch. 37 para. 2 of the amending Act) by Finance Act 2014 (c. 26), Sch. 37 para. 1 (with Sch. 37 paras. 3, 4)

  2. F2

    Words in s. 236O(1)(b) substituted (with effect in accordance with Sch. 6 para. 6(4) of the amending Act) by Finance Act 2025 (c. 8), Sch. 6 para. 6(1)(b)(4)

  3. F3

    S. 236O(2)(za) inserted (with effect in accordance with Sch. 6 para. 2(5) of the amending Act) by Finance Act 2025 (c. 8), Sch. 6 para. 2(2)(5)

  4. F4

    S. 236O(2)(ba) inserted (with effect in accordance with Sch. 6 para. 3(5) of the amending Act) by Finance Act 2025 (c. 8), Sch. 6 para. 3(3)(5)

  5. F5

    S. 236O(2A)(2B) inserted (with effect in accordance with Sch. 6 para. 4(3) of the amending Act) by Finance Act 2025 (c. 8), Sch. 6 para. 4(1)(3)

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