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Part VU.K. Transfer of business assets[F1, [F2business asset disposal relief] and investors' relief]

Textual Amendments

F1Words in Pt. 5 heading inserted (15.9.2016) by Finance Act 2016 (c. 24), Sch. 14 para. 1(1)

F2Words in Act substituted (with effect for the tax year 2020-21 and subsequent tax years) by Finance Act 2020 (c. 14), Sch. 3 paras. 7(2)(a), 8 (with Sch. 3 para. 7(3))

[F3Chapter 3AU.K. [F2business asset disposal relief] where company ceases to be individual's personal company

Textual Amendments

F3Pt. 5 Ch. 3A inserted (with effect in accordance with Sch. 16 para. 4(5) of the amending Act) by Finance Act 2019 (c. 1), Sch. 16 para. 3

169SCElection by individual where company ceases to be personal companyU.K.

(1)If the following conditions are met, an individual may elect for this section to have effect.

(2)The first condition is that, as a result of a relevant share issue, the company ceases to be the individual's personal company.

(3)The second condition is that—

(a)if, immediately before the relevant share issue, the individual had made a disposal at their relevant value of all assets consisting of shares in or securities of the company, the disposal would have been a material disposal of business assets, and

(b)if a claim for [F2business asset disposal relief] had been made in respect of that disposal, a chargeable gain would have been treated by section 169N(2) as accruing to the individual.

(4)Where this section has effect, the individual is to be treated for the purposes of this Act—

(a)as having made a disposal immediately before the relevant share issue of all assets consisting of shares in or securities of the company, and

(b)immediately after that event, as having reacquired those assets,

at their relevant value.

(5)In this section—

(6)For the purposes of the definition of “relevant share issue” in subsection (5)—

(7)In this Chapter—

(a)references to “the notional disposal” are references to the disposal mentioned in subsection (4)(a),

(b)references to “the notional gain” are references to the chargeable gain mentioned in subsection (3)(b), and

(c)references to shares in or securities of a company include references to interests in such shares or securities.]