Reinvestment relief is also available to defer a capital gain on a disposal of an intangible asset (including goodwill):
For this purpose, the requirement that the asset realised must
have been a chargeable intangible asset throughout the period it is
held by a company or for a substantial part of that period (
CIRD20035) is replaced by the
requirement that it must be a ‘chargeable asset’
throughout, or for a substantial part of, the same period.
An asset is a chargeable asset at any time if any gain on its
disposal by the company holding it at that time would fall within
the charge to CT and not be subject to exemption under any of the
UK’s double taxation agreements. This definition is similar
to that described in CG45710.
The conditions in the reinvestment relief rules dealing with
the asset realised are adapted where that asset is within the CG
code as follows:
As the counterpart to the extension of reinvestment relief to CG described above, CG roll-over relief ceases to be available. See CIRD20270.