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Legislation
Taxation of Chargeable Gains Act 1992

Crossheading Miscellaneous reliefs and exemptions

  • Section 262 Chattel exemption.
  • Section 263 Passenger vehicles.
  • Section 263AZA Renewables obligation certificates for domestic microgeneration
  • Section 263ZA Former employees: employment-related liabilities
  • Section 263A Agreements for sale and repurchase of securities: capital gains tax
  • Section 263AA Section 263A: interpretation
  • Section 263B Stock lending arrangements.
  • Section 263C Stock lending involving redemption.
  • Section 263CA Stock lending: insolvency etc of borrower
  • Section 263D Gains accruing to persons paying manufactured dividends
  • Section 263E Structured finance arrangements
  • Section 263F Power to modify repo provisions: non-standard repo cases
  • Section 263G Power to modify repo provisions: redemption arrangements
  • Section 263H Sections 263F and 263G: supplementary provisions
  • Section 263I Powers about manufactured overseas dividends
  • Section 264 Relief for local constituency associations of political parties on reorganisation of constituencies.
  • Section 265 Designated international organisations.
  • Section 266 Inter-American Development Bank.
  • Section 267 Sharing of transmission facilities.
  • Section 268 Decorations for valour or gallant conduct.
  • Section 268A Victims of National-Socialist persecution
  • Section 268B Compensation for deprivation of foreign assets
  • Section 269 Foreign currency for personal expenditure.
  • Section 270 Chevening Estate.
  • Section 271 Other miscellaneous exemptions.
  1. Miscellaneous reliefs and exemptions
  2. Power to modify repo provisions: non-standard repo cases

Section 263F | Power to modify repo provisions: non-standard repo cases F1

From legislation.gov.uk

(1)The Treasury may by regulations provide for—F1

(a)section 261F (deemed manufactured payments: effect on repurchase price),F1

(b)section 261G (price differences under repos: effect on repurchase price),F1

(c)section 263A (agreements for sale and repurchase of securities), orF1F2

(d)RepealedF3F1

(e)any of those sections,F1

to apply with modifications in relation to non-standard repo cases.

(2)The power in subsection (1) to make provision for section 263A ... to apply with modifications is exercisable only so far as the section applies to any case mentioned in section 263A(1).F1F4F5

(3)A case is a non-standard repo case if—F1

(a)there is a repo in respect of securities,F1

(b)under the repo there has been a sale (“the original sale”) of the securities by the original owner to the interim holder, andF1

(c)any of conditions A to E is met in relation to the repo.F1

(4)Condition A is that—F1

(a)the obligation to buy back the securities is not performed, orF1

(b)the option to buy them back is not exercised.F1

(5)Condition B is that provision is made by or under an agreement for different or additional UK shares, UK securities or overseas securities to be treated as (or as included with) representative securities.F1

(6)Condition C is that provision is made by or under an agreement for any UK shares, UK securities or overseas securities to be treated as not included with representative securities.F1

(7)Condition D is that provision is made by or under an agreement for the sale price or repurchase price to be decided or varied wholly or partly by reference to post-agreement fluctuations.F1

(8)Condition E is that provision is made by or under an agreement for a person to be required, in a case where there are post-agreement fluctuations, to make a payment in the period—F1

(a)beginning immediately after the making of the agreement for the original sale, andF1

(b)ending when the repurchase price becomes due.F1

(9)“Post-agreement fluctuations” are fluctuations in the value of—F1F6

(a)securities transferred in pursuance of the original sale, orF1F6

(b)representative securities,F1F6

which occur in the period after the making of the agreement for the original sale.

(10)“Representative securities” are securities which, for the purposes of the repurchase, are to represent securities transferred in pursuance of the original sale.F1F6

Notes

  1. F1

    S. 263F inserted (6.4.2007) by Income Tax Act 2007 (c. 3), s. 1034(1), Sch. 1 para. 336 (with Sch. 2)

  2. F2

    Word in s. 263F(1)(c) inserted (1.1.2014) by Finance Act 2013 (c. 29), Sch. 29 paras. 7(a)(i), 52

  3. F3

    S. 263F(1)(d) omitted (1.1.2014) by virtue of Finance Act 2013 (c. 29), Sch. 29 paras. 7(a)(ii), 52

  4. F4

    Words in s. 263F(2) omitted (1.1.2014) by virtue of Finance Act 2013 (c. 29), Sch. 29 paras. 7(b), 52

  5. F5

    Words in s. 263F(2) substituted (with effect in accordance with Sch. 12 para. 18(1) of the amending Act) by Finance Act 2013 (c. 29), Sch. 12 para. 11(2)

  6. F6

    S. 263F(9)(10) substituted for s. 263F(9) (with effect in accordance with Sch. 12 para. 18(1) of the amending Act) by Finance Act 2013 (c. 29), Sch. 12 para. 11(3)

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