SAIM3070 - Deeply discounted securities: taxation: profit on disposal
The charge to income tax
The charge to income tax under ITTOIA05/S428 is on profits arising on disposals in the tax year. Profits on disposals of securities outside the UK are taxed as ‘relevant foreign income’ and the special rules in Part 8 of ITTOIA05 apply. See also SAIM3120 on the application of Chapter 2 of Part 13 of ITA07 on the transfers of assets abroad.
Meaning of ‘disposal’
The person treated as making the disposal is the person entitled
as holder to any payment on disposal. Disposal is defined in
ITTOIA05/S437. It includes redemption, transfer by sale, exchange
or gift, and conversion into shares.
See
SAIM3110 for transfer to personal
representatives.
See
SAIM3130 for rules on disposal of gilt
strips and
SAIM3150 on corporate strips.
ITTOIA05/S438 provides that transfer occurs when the holder
becomes entitled to the security or, if the agreement is
conditional, when the conditions are fulfilled.
Computation of profits
ITTOIA05/S439 contains the basic computational provision. A
profit on disposal arises where the amount received exceeds the
amount paid. No account is taken of any incidental costs of
acquisition or disposal, except where the disposal is of listed
securities and the incidental costs were incurred before 27 March
2003.
See
SAIM3080 for rules on losses.
See
SAIM3090 for the application of market
value rules in computing profits.
See
SAIM3100 for the application of
‘earn-out’ rules in computing profits from earn-out
rights.
Deduction of tax
Discounts or premiums payable on the redemption of relevant discounted securities are not payments of interest. Consequently the payments are made without deduction of tax.
