CG64045 - Entrepreneurs’ Relief: disposal of assets after cessation of business
Rather than disposing of a business, possibly as a going
concern, someone may cease in business and then sell off the
business assets. Such disposals will not constitute the sale of the
whole or part of a business for TCGA92/S169I(2)(a) but may instead
qualify as disposals of assets sold after the cessation of the
business for TCGA92/S169I(2) (b) and TCGA92/S169I(4) – see
CG63975.
The conditions which must be satisfied for relief to be due
on a disposal of an asset after cessation of the business are -
- the asset must have been in use for the purposes of the business at the date of cessation TCGA92/S169I(2)(b);
- the asset cannot be a holding of shares or securities or any other asset that was held as an investment TCGA92/S169L(4) – see CG64005;
- the business must have been owned by the individual throughout a period of at least one year ending with the date the business ceased TCGA92/S169I(4)(a) (note that a business is treated as being carried on by an individual if carried on by a partnership of which he or she is a member TCGA92/S169I(8)(c); and
- the disposal must take place within the 3 year period following the cessation of the business TCGA92/S169I(4)(b).
Relief under this provision is not available where there is a disposal of assets formerly used in a company, which has ceased to trade. The Retirement Relief case of Plumbly v Spencer (71TC399) has no relevance because of the condition in TCGA/S169I(4)(a) that the business has to be carried on by the individual. In such circumstances Entrepreneurs’ Relief may however be available as an ‘associated disposal’ under TCGA92/S169K - see CG63995.
Disposal of assets after cessation: 3 year period
The 3 year period is a statutory limit. HMRC have no discretion
to extend the period.
The date of the cessation of a business is a question of
fact. Determining the date will usually be straightforward but for
less clear cut cases when there is a wide difference between
possible dates and this is material to a claim for relief there is
guidance in the Business Income Manual to assist you. See BIM70565+
in particular.
The usual Capital Gains rules apply when determining the
date on which a disposal takes place (see CG14250+).
