This guidance applies to periods of account beginning on or after 1 January 2005
For the embedded contract for differences to qualify for chargeable gains treatment under FA02/SCH26/PARA45A, all the following conditions must be met.
The company must not be:
It must not be an “existing asset”, meaning one entered into before the beginning of the first period of account to begin on or after 1 January 2005, and which was earlier within FA96/S93.
For periods beginning on or after 1 January 2005 and ending
before 16 March 2005, capital gains treatment was also denied where
the option was one to which any of FA02/SCH26/PARAS 6 to 8 applied.
These paragraphs were repealed for accounting periods ending on or
after 16 March 2005.
For periods ending on or before 30 December 2006 land was
also a qualifying asset, so that a property derivative might
potentially fall within both PARA45F and PARA45C. See CFM13534 for
more on land derivatives.
These are shares in a company which represent some or all of its issued share capital, other than shares carrying:
Where the derivative meets all the above conditions, FA02/SCH26/PARA45F (8) provides that the creditor relationship is not treated as a qualifying corporate bond for the purposes of TCGA1992. This ensures that debits and credits treated as chargeable gains, or allowable losses, under FA02/SCH26PARA45A are not exempt gains.