Skip to content
Solved
SearchBrowse
Sign in

Contents

Legislation
Finance (No. 2) Act 2017

Crossheading Domicile, overseas property etc

  • Section 29 Deemed domicile: income tax and capital gains tax
  • Section 30 Deemed domicile: inheritance tax
  • Section 31 Settlements and transfer of assets abroad: value of benefits
  • Section 32 Exemption from attribution of carried interest gains
  • Section 33 Inheritance tax on overseas property representing UK residential property
  1. Domicile, overseas property etc
  2. Exemption from attribution of carried interest gains

Section 32 | Exemption from attribution of carried interest gains

From legislation.gov.uk

(1)TCGA 1992 is amended as follows.

(2)In section 13(1A) (attribution of gains to members of non-resident companies)—

(a)omit the “or” at the end of paragraph (a), and

(b)at the end of paragraph (b), insert

(c)a chargeable gain treated as accruing under section 103KA(2) or (3) (carried interest gains).

(3)In section 86 (attribution of gains to settlors with interest in non-resident or dual resident settlements), after subsection (4ZA) insert—

(4ZB)Where (apart from this subsection) the amount mentioned in subsection (1)(e) would include an amount of chargeable gains treated as accruing under section 103KA(2) or (3) (carried interest gains), the amount of the gains is to be disregarded for the purposes of subsection (1)(e).

(4)In section 87 (non-UK resident settlements: attribution of gains to beneficiaries), after subsection (5A) insert—

(5B)Where (apart from this subsection) the amount mentioned in subsection (4)(a) would include an amount of chargeable gains treated as accruing under section 103KA(2) or (3) (carried interest gains), the amount of the gains is to be disregarded for the purposes of determining the section 2(2) amount.

(5)The amendments made by this section have effect in relation to chargeable gains treated as accruing under section 103KA(2) or (3) of TCGA 1992 at any time before, as well as after, the passing of this Act.

PreviousNext
PrivacyTerms