CG38935 - TCGA92/S90 - part of settled property transferred for nil consideration - example
No capital payments have been made out of the transferor settlement. »Ê¹ÚÌåÓýapp transferor settlement has the following gains made by the trustees:
Year | - | Amount |
---|---|---|
2005-06 | Trustees� gains (section 2(2) amount) | £20,000 |
2012-13 | Section 2(2) amount on transfer of shares | £75,000 |
It is only the ‘relevant proportionâ€� of these unmatched section 2(2) amounts that is transferred to the transferee settlement. »Ê¹ÚÌåÓýapp relevant proportion is 4/5 (£400,000 / [£400,000 + £100,000]).
Transferee settlement
»Ê¹ÚÌåÓýapp transferee settlement acquires the following unmatched section 2(2) amounts:
Year | Amount | - |
---|---|---|
2005-06 | £16,000 | (£20,000 x 4/5) |
2012-13 | £60,000 | (£75,000 x 4/5) |
»Ê¹ÚÌåÓýappy are added to any unmatched section 2(2) amounts it already has and can be matched with capital payments made from the transferee settlement in 2012-13 or a later year. This applies whatever the residence status of the transferee settlement.
Transferor settlement
»Ê¹ÚÌåÓýapp unmatched section 2(2) amounts of the transferor settlement are reduced by the section 2(2) amounts that have been treated as transferred to the transferee settlement. »Ê¹ÚÌåÓýapp unmatched section 2(2) amounts become:
Year | Amount | - |
---|---|---|
2005-06 | £4,000 | (£20,000 - £16,000) |
2012-13 | £15,000 | (£75,000 - £60,000) |
This reduction has effect for matching in the year after the year of transfer (2013-14) and subsequent years.