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Home / Simons-Taxes /Capital gains tax /Part C2 Computation of chargeable gains /Division C2.1 Disposal consideration /When does market value apply for capital disposals? / C2.115 Value shifting—deemed disposals at market value
Commentary

C2.115 Value shifting—deemed disposals at market value

Capital gains tax

The value shifting rules1 are anti-avoidance provisions without which it would be possible for value to be shifted (from one asset to another) or extracted in some way without triggering a tax charge on the value shifted or extracted2. This could result in allowable losses being artificially inflated or chargeable gains artificially reduced when there is a disposal of the asset whose value has been artificially reduced.

There are three value shifting rules3:

  1. Ìý

    •ÌýÌýÌýÌý the general provisions where value has shifted from one asset to another in certain circumstances (see below)

  2. Ìý

    •ÌýÌýÌýÌý the tax-free benefits rules (see C2.116)

  3. Ìý

    •ÌýÌýÌýÌý disposal of shares or securities by a company (see D2.352A)4

Other value shifting-type anti-avoidance rules include the close company asset transfer rules in TCGA 1992, s 125 (see D1.919) and the depreciatory transactions within group companies rules in TCGA 1992, s 176 (see D2.350).

Value shifting—the general provisions

The general provisions deems a disposal (and a corresponding acquisition) under three circumstances5:

  1. Ìý

    •

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