VCM36000 - EIS: deferral relief: shares issued before 6 April 1998: share reorganisation
TCGA92/SCH5B
There are two common types of share reorganisation, bonus issues
and rights issues.
The taxpayer may hold different categories of shares issued
before 6 April 1998, shares which have attracted no EIS reliefs,
shares which have attracted EIS Income Tax relief and shares which
have attracted both EIS Income Tax relief and deferral relief.
Shares issued on or after 6 April 1998 may attract deferral relief
only. When there is a bonus issue each category of share is treated
separately and where the shares have attracted deferral relief this
continues and is apportioned between the original shares and the
bonus issue shares.
Where there is a rights issue the reorganisation provisions
of TCGA92/S127 - S130 will only apply to shares to which no EIS
Income Tax relief or deferral relief is attributable immediately
after the rights issue. The taxpayer holding shares which attract
EIS relief is treated as having acquired the new shares at the date
of the rights issue and for the amount they paid for the new
shares. Any shares acquired on a rights issue may qualify for EIS
Income Tax relief and deferral relief, but a separate claim will
need to be made.
