CG63591 - Investors鈥� Relief: qualifying disposals by trustees: example

The trustees of the TM Trust hold a number of assets on trust for Tanya, David, Barry and Kristin in equal shares. All four beneficiaries have an interest in possession in all of the settled property of the trust.

Among these assets are shares in XY Ltd. 听XY Ltd is a trading company which the trust invested in (subscribing for newly issued fully paid up ordinary shares) in August 2016. 听The company does very well, and in March 2025 the trustees decide they want to sell the shares they hold.

XY Ltd was a trading company throughout the period the TM Trust held shares in it, and it met the conditions for Investors鈥� Relief throughout.

Neither Tanya, Barry nor David have ever been employed by XY Limited and are not connected with anyone who has been. 听Kristin got a job with XY Ltd in January 2018 and continues to work there in the accounts department.

The trustees sell their shares in XY Ltd and make a gain of exactly 拢4 million on the trust鈥檚 holding.

David has not held or sold any shares as an individual, and has had no trust gains attributed to him up to March 2025. 听David therefore has his entire 拢1 million lifetime cap available.

Kristin has her entire 拢1 million lifetime cap available, but because she is a paid employee of XY Limited, she cannot be an eligible beneficiary because of the restriction in .

Tanya had made a number of investments which qualified for Investors鈥� Relief. 听In 2019 she sold a number of these investments at a gain, using up 拢600,000 of her Investors鈥� Relief lifetime allowance. 听 Tanya therefore has 拢400,000 within her lifetime cap available.

Barry too had made several investments which qualified for Investors鈥� Relief.In 2022 he sold a number of these investments making a substantial gain, using up 拢5.5m of his Investors鈥� Relief lifetime allowance.At the time of those disposals, the lifetime cap was 拢10 million.As the disposal of XY Limited shares falls after 30 October 2024, the new lifetime cap applies and Barry has no further lifetime allowance available.

Each beneficiary has one quarter of the gain attributed to them for the purposes of Investors鈥� Relief. 听Taking each beneficiary in turn:

Tanya

Tanya is an eligible beneficiary. 听Her 鈥榮hare鈥� of the gain is 拢1 million. 听Of her 拢1 million gain, she and the trustees can jointly claim to have 拢400,000 of it subject to Investors鈥� Relief. 听The rest will be taxed on the trustees at the normal CGT rate.

David

David is an eligible beneficiary. 听His 鈥榮hare鈥� of the gain is 拢1 million. 听Of this 拢1 million gain, he and the trustees can jointly claim to have the entire 拢1 million gain subject to Investors鈥� Relief.

Barry

Barry is an eligible beneficiary.His 鈥榮hare鈥� of the gain is 拢1 million.As he has previously exhausted his lifetime allowance, the full gain will be taxed on the trustees at the normal CGT rate.

Kirstin

Kirstin is not an eligible beneficiary. 听Her 鈥榮hare鈥� of the gain is 拢1 million. 听No claim to Investors鈥� Relief can be made for this share of the gain.


When returning the gain, the trustees will include two claims to Investors鈥� Relief. 听One claim will be jointly made with Tanya (for 拢400,000 of the gain to be taxed at 10%), and the other jointly made with David (for 拢1 million of the gain to be taxed at 10%). 听

See CG63500 for a general description of the relief and the layout of the guidance.