CG45325 - No gain/no loss transfers in groups: part disposals including leases
Part disposals - TCGA92/S42(5)
On a part-disposal of an asset by one group company to another, TCGA92/S42(5) provides that the A/A+B part-disposal formula has to be applied before, and without regard to, the no gain/no loss rule. Companies in the same group will generally be connected persons within TCGA92/S286. In that case TCGA92/S18(2) automatically applies the market value rule in TCGA92/S17(1) on the intra-group part-disposal. In the A/A+B part- disposal formula, A' is accordingly the market value of the part disposed of, and
B鈥� is the market value of the part retained. Once the allowable expenditure on the part-disposal has been determined in this way the rule in TCGA92/S171(1) (if applicable) gives the company making the part- disposal a no gain/no loss result. The general effect is to apportion the capital gains cost of the entire asset according to the respective market values of the part retained by the transferor and the part acquired by the transferee. The proportion of total cost allocated to the part disposed of then flows through to the transferee in accordance with the no gain/no loss rule. This is subject to the practice in CG71850+ concerning disposals of land.
Example
In August 2007 company A acquires an asset for 拢10M. In December 2010 A makes a part-disposal to fellow group member B. The market value of the part disposed is 拢6惭. The market value of the part retained by A is 拢14M. Since the part-disposal is not an arm鈥檚 length bargain, the first stage of the calculation is by reference to the market value rule.
- | - | - | - | 拢 M |
---|---|---|---|---|
- | market value proceeds | - | - | 6.0 |
less | cost 拢10M | x | 拢6惭 | 3.0 |
- | - | - | 拢6惭 + 拢14M | - |
- | unindexed gain | - | - | 3.0 |
less | indexation on 拢3M from August 2007 | - | - | - |
- | to December 2010 | - | - | 0.3 |
- | gain before no gain/no loss rule | - | - | 2.7 |
TCGA92/S171(1) then comes into operation to deem A鈥檚 consideration to be 拢3.3M for capital gains purposes. A has neither gain nor loss. B effectively takes over the proportion of A鈥檚 indexed cost attributable to the part of the asset acquired by B.
Part disposals - leases
If company A makes a part-disposal of a freehold by granting a lease to company B in the same group, the asset disposed of by A is the freehold, whereas the asset acquired by B is the lease. HMRC considers that this transaction is within TCGA92/S171(1). The no gain/no loss rule can also apply where A owns the freehold, fellow group member B owns a lease, and B surrenders the lease to A, or where B acquires the freehold reversion from A.