SCHEDULES

[F1SCHEDULE 7AU.K.Paif seeding relief and coacs seeding relief

Textual Amendments

F1Sch. 7A inserted (with effect in accordance with Sch. 16 para. 15 of the amending Act) by Finance Act 2016 (c. 24), Sch. 16 para. 4

PART 1U.K.Property authorised investment funds

Withdrawal of relief: units disposed ofU.K.

7(1)This paragraph applies where—U.K.

(a)a person (“V”) makes a relevant disposal of one or more units in a property AIF—

(i)at any time in the seeding period,

(ii)at any time in the control period, or

(iii)in pursuance of, or in connection with, arrangements made before the end of the control period, and

(b)there is, in relation to that disposal, a relevant seeding transaction (see sub-paragraph (6)).

(2)In respect of a transaction which is, in relation to the relevant disposal, a relevant seeding transaction—

(a)PAIF seeding relief is withdrawn to the extent set out in this paragraph, and

(b)tax is chargeable in accordance with this paragraph.

(3)V's disposal of units in a property AIF is a “relevant disposal” for the purposes of this paragraph if, in relation to the disposal, A exceeds B.

(4)In this paragraph—

  • A” means—

    (a)

    where the value of V's investment in the property AIF immediately before the disposal is equal to or greater than the total of the chargeable consideration for all relevant seeding transactions, the total of the chargeable consideration for all relevant seeding transactions, or

    (b)

    where the value of V's investment in the property AIF immediately before the disposal is less than the total of the chargeable consideration for all relevant seeding transactions, the value of V's investment in the property AIF immediately before the disposal, and

  • B” means the value of V's investment in the property AIF immediately after the disposal.

(5)The amount chargeable in respect of a relevant seeding transaction (“RST”) is—

where—

C” means the difference between A and B;

CCRST” means the total of the chargeable consideration for all relevant seeding transactions;

SDLT” means the amount of tax that would have been chargeable in respect of RST but for PAIF seeding relief, ignoring any amount of tax that has been charged under this paragraph in respect of RST in relation to an earlier disposal of units by V.

(6)In this paragraph—

  • group company” means (where V is a company) a company which is a member of the same group of companies as V for the purposes mentioned in paragraph 1(2) of Schedule 7 (group relief);

  • relevant seeding transaction”, in relation to a disposal of units by V in a property AIF, means a seeding transaction—

    (a)

    the effective date of which is, or is before, the date of the disposal,

    (b)

    in which that property AIF is the purchaser, and

    (c)

    in which a vendor is—

    (i)

    V, or

    (ii)

    (where V is a company) a company which is a group company at the time of the disposal;

  • seeding transaction” means a transaction in respect of which PAIF seeding relief is allowed (whether or not relief is subsequently withdrawn to any extent);

  • “the value of V's investment in the property AIF” at a particular time means the market value of all units in the property AIF held at that time by—

    (a)

    V, and

    (b)

    (where V is a company) a company which—

    (i)

    is a group company at that time, and

    (ii)

    before that time, has been a vendor in one or more seeding transactions in which the property AIF was the purchaser.

(7)For the purposes of this paragraph, the “market value” on a particular date of units in the property AIF is an amount equal to the buying price (that is, the lower price) published by the authorised corporate director on that date (or, if no such price is published on that date, on the latest date before).]