CG46560 - Depreciatory transactions: method of adjustment
TCGA92/S176(4) & (5)
»Ê¹ÚÌåÓýapp rules giving the method of making the adjustment are in TCGA92/S176(4) and TCGA92/S176(5). »Ê¹ÚÌåÓýapp allowable loss on the ultimate disposal is reduced to such extent as is just and reasonable having regard to the depreciatory transaction. »Ê¹ÚÌåÓýapp restriction is to be made on the footing that the allowable loss ought not to reflect any diminution in the value of the company’s assets attributable to the depreciatory transaction.
»Ê¹ÚÌåÓýapp purpose of the rule is to allow the unadjusted capital gains loss to be reduced by an amount that reflects the commercial or economic effect of the depreciatory transaction.
»Ê¹ÚÌåÓýapp loss restriction under TCGA92/S176(5) takes count of both depreciatory transactions and appreciatory transactions affecting the value of the shares or securities disposed of on the ultimate disposal. An appreciatory transaction is one that increases the value of the company whose shares are the subject of the ultimate disposal AND depreciates the value of the assets of another group member. See also CG46570 concerning the compensating reduction of gains on disposals other than the ultimate disposal.
EXAMPLE
Company A buys company B in 2008. In 2011 company B sells to another member of the group for £1M an asset which is worth £5M. In 2012 company B buys from another member of the group for £6M an asset which is worth £7M; this depreciates the value of that other company’s assets. In 2013 A sells B at a loss.
»Ê¹ÚÌåÓýapp Section 176 adjustment should be based on the net reduction in value of B £3M.
Minority holdings
If the company making the ultimate disposal is not a member of the group concerned at the time of the ultimate disposal, any loss restriction is confined to depreciatory transactions while that person was a member of the group.
EXAMPLE
From 2009 to 2012 the group structure is-
In 2009 C transfers an asset to A at less than market value.
From 2013 A no longer has an interest in B and the group structure is -
In 2013 C again transfers an asset to A at less than market value. In 2014 B sells its shares in C at a loss. »Ê¹ÚÌåÓýapp loss restriction can take account of the depreciatory transaction which reduced the value of C in 2009, when B was a member of the A group. »Ê¹ÚÌåÓýapp loss restriction cannot take account of the depreciatory transaction which reduced the value of C in 2013, when B was not a member of the A group.