CIRD40520 - Intangible assets: groups:
degrouping: general conditions for adjustment
FA02/SCH29/PARA58
The conditions for the degrouping adjustment to apply are as
follows:
- Company A has transferred an intangible
fixed asset to company B.
- The relevant asset is a ‘chargeable
intangible asset’ (
CIRD20035) in the hands of both A
immediately before the transfer, and B immediately after the
transfer.
- B must have been a member of the same
group as A from the time of the transfer, or have become a member
subsequently.
- B must leave the group after the transfer
and before six years have elapsed from the date of the
transfer.
- The degrouping is not the result of a
merger (
CIRD40580).
Outcome
If, at the time it leaves the group, B, or an associated company
(
CIRD40530) - which also leaves the
group at that time, holds the asset, then:
- B is treated as though it had realised and
reacquired the asset for its market value, immediately after the
asset was transferred to it.
- The taxable credit or deductible debit on
the deemed realisation of the asset is calculated under the rules
in
CIRD13210 onwards.
- Its subsequent deductible debits (in
particular for sums written off the asset -
CIRD12700 onwards) and any taxable
credits are revised on the basis that the asset was acquired at
market value (rather than on tax-neutral terms).
- The adjustments in both categories are
then aggregated and a net taxable credit or deductible debit
brought into account as if it had arisen immediately before the
transferee ceased to be a member of the group.
Classification of net credit or debit
The classification of the credit or debit as a trading etc
matter (within
CIRD13520), or as a non- trading matter
in its CT computation (see
CIRD13500 onwards), is determined by
the use to which the company put the asset immediately on
acquisition. But where the asset was used for a trade, property
business or other activity within CIRD13520 at that time and the
activity subsequently ceased (before the degrouping adjustment is
triggered) the credit or debit should be brought to account as a
‘non-trading’ matter (
CIRD13530).
Further guidance
See:
-
CIRD40600 for the case where A and B
are not members of the same group at the time of the transfer.
-
CIRD40610 for an example of the
degrouping computation.