SDLTM31750 - Application
Trusts and powers: Transfers between pension funds
The guidance on this page applies where there is a transfer of
assets and obligations from one pension fund to another, e.g. on
the payment of a statutory cash equivalent transfer value for an
individual, or on a merger of funds.
The transfer of land from the trustees of one pension fund to
the trustees of another is the acquisition of a chargeable interest
under FA03/S48. This means it is within the scope of stamp duty
land tax.
The normal charge to tax under stamp duty land tax arises on
the consideration given for the land transaction.
There are no special rules for pension funds. Stamp duty land
tax will only be due where there is chargeable consideration for
the transaction.
In our view the assumption by the transferee fund, or by the
trustees of the transferee fund, of obligations to provide benefits
is not chargeable consideration.
If other consideration is given by the transferee fund, or
trustees of the transferee fund, in the form of money or
money’s worth then that will be chargeable consideration.
There would also be chargeable consideration if the transfer
of obligations was in consideration of a defined monetary sum to be
to satisfied by the release of obligations by the former
trustees.
Borrowing and Mortgages
A pension fund may borrow money and may grant a mortgage or
other charge over land as security.
For stamp duty land tax purposes it is necessary to consider
the borrowing and the mortgage separately in the context of a
transfer described above.
Borrowing
If the transferee fund, or trustees of transferee fund
- assume an existing liability of the transferor fund or trustees of the transferor fund to repay borrowing or
- otherwise bring about the release of the transferor fund or trustees of the transferor fund from the debt and
- they do so as part and parcel of such a transfer
then we will not treat FA03/SCH4/PARA8 as meaning that there is chargeable consideration given for the land transaction.
Mortgages
Mortgages and other legal charges are security interests and dealings with them, including their creation and release, are specifically exempt from stamp duty land tax.
Notification
A land transaction for no consideration is exempt from notification under FA03/S77 but must be self certified in accordance with FA03/S79(3)(b) if registration of the change of title is necessary.
Acquisitions of land by pension fund trustees
Where pension fund trustees acquire land, otherwise than as part of a transfer described above, whether or not from another pension fund, stamp duty land tax is due on the consideration given in the normal way.
