CIRD20440 - Reinvestment relief: groups of
companies: expenditure on shares of company which becomes group
member: examples
FA02/SCH29/PARA57
The examples below illustrate the interaction of:
- the rule that the deemed expenditure on
the acquisition of new assets is the lesser of the cost of the
shares and the tax written down value of the
‘underlying’ assets (see
CIRD20430),
- the general computational rules for
reinvestment relief in
CIRD20200 onwards.
Tax value
old asset | Original
cost old
asset | Proceeds
old asset | Cost of
shares | Tax value
underlying
assets | Relief | Note |
| £80 | £100 | £150 | £200 | £90 | None | (a) |
| £80 | £100 | £150 | £200 | £180 | £50 | (b) |
| £80 | £100 | £150 | £200 | £140 | £40 | (c) |
| £80 | £100 | £150 | £140 | £200 | £40 | (d) |
| £80 | £100 | £150 | £130 | £140 | £30 | (e) |
Notes
- Tax value of underlying assets less than
original cost of old asset - see
CIRD20220.
- Tax value of underlying assets and cost of
shares exceed realisation proceeds; all profit over original cost
rolled over - see
CIRD20210.
- Tax value of underlying assets less than
realisation proceeds of old asset; not all proceeds reinvested;
profit to be rolled over restricted to the excess of that tax value
over the cost of the old asset - see CIRD20220.
- Cost of shares less than realisation
proceeds and tax value of underlying assets (which exceeds the
proceeds); relief restricted as if the cost of the shares is equal
to the tax value of the underlying assets - see
CIRD20430.
- As (d) but tax value of underlying assets
does not exceed the realisation proceeds; relief again restricted
as if the cost of shares is the tax value of the underlying assets
- see CIRD20430.