GIM5160 - Taxation of the investment return: investment gains: periods of account beginning before 1 January 2002: portfolio assets and trading stock
A general insurer’s portfolio assets are not trading stock
in the ordinary sense. This is why the assets cannot be written
down below cost at the accounting date.
On the other hand, the case of Alherma Investments Limited v
Tomlinson, 48-TC81 (heard together with the General Reinsurance
case) established the point that where the legislation uses a wide
definition of “trading stock” along the lines of that
to be found in what is now ICTA88/S100 (2) (“property such as
is sold in the ordinary course of the trade”) those portfolio
assets will fall within it. Consequently they are to be regarded as
trading stock on cessation of a trade for the purposes of
ICTA88/S100.
If investments are transferred from an insurance company to
another member of a group of companies, or vice-versa, and the
investments are not “trading stock” within the
ICTA88/S100 meaning in the hands of the other company, TCGA92/S173
will apply.
On a transfer to the insurer of an investment treated as
“trading stock” within that meaning in its hands, the
insurer is to be treated, for the purposes of TCGA92/S161, as
having acquired the asset otherwise than as trading stock, and as
having immediately appropriated it to trading stock.
There is therefore a market value disposal for CG purposes,
and the same market value is to be used as the acquisition cost of
the asset when it is realised for the purpose of calculating the
realised gain or loss. However, the insurer will normally be
assessed on these gains or losses as part of its trade profits. If
so it may elect, within two years of the end of the accounting
period in which the transfer occurs, to assimilate any gain or loss
that would result from the deemed CG disposal to its computation of
trade profits on a later realisation (see CG69201).
On a transfer of an investment treated as “trading
stock” within the section 100 meaning by the insurer to
another company, the insurer is to be treated, for the purposes of
TCGA92/S161, as having appropriated the asset for some purpose
otherwise than use as trading stock immediately before transferring
it.
This effectively fixes the cost price of the asset in the
hands of the transferor at the amount that is treated as the
proceeds of sale in computing the realised gain or loss (see
CG69220). Normally this will be the actual consideration passing,
unless this is so far removed from the market value as to cast
doubt on the commercial bona fides of the transaction (see
BIM33610).
