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HMRC internal manual

Capital Gains Manual

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HM Revenue & Customs
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Transfers not at arm’s length and connected persons rules: examples

Example 1

A and B carry on a business in partnership and hold equal interests in partnership assets.

They agree to change their profit sharing ratios to:

A 60%
   
B 40%

An enquiry establishes the fact that the arrangement in which B disposed of part of his fractional interests in partnership assets to A was a genuine commercial arrangement and that A and B are not connected persons other than by reference to TCGA92/S286 (4). Therefore the transaction can be accepted as being within the exception to TCGA92/S286 (4) and the market value rule will not apply.

CG27500 explains the rules that apply to the disposal by Partner B of part of his fractional interest in partnership assets to Partner A.

Example 2

K and L carry on a business in partnership and hold equal interests in partnership assets.

K sells an asset which he owns personally to L for £6,000 at a time when its market value is £8,000.

As K and L are connected persons under TCGA92/S286 (4) the market value rule applies and the asset is treated as having been disposed of by K and acquired by L for a consideration equal to its market value of £8,000.

The exception to TCGA92/S286 (4) does not apply because the asset is not a partnership asset.

Example 3

M and N carry on a business in partnership and hold equal interests in partnership assets. They are not connected other than by means of the partnership relationship.

The acquisition costs and current balance sheet values of the partnership assets were:

Freehold property £320,000
   
Goodwill £100,000

When P was admitted to the partnership M and N agreed to change their profit sharing ratios to:

M 25%
   
N 50%
P 25%

At the time of P’s admission the market value of the partnership assets were:

Freehold property £400,000
   
Goodwill £120,000

An enquiry establishes that:

  • M and P are connected persons under TCGA92/S286 (2) as M is P’s father
  • P did not pay any consideration to M for his acquisition of a 25% interest in partnership assets
  • When N acquired his 50% interest from M on admission to the partnership he made a direct payment of consideration to M.

The payment by N to M on admission to the partnership indicates that M and P were not acting at arm’s length. The market value rule applies in relation to the disposal of a 25% interest by M and the acquisition of a 25% interest by P. M’s disposal proceeds and P’s acquisition costs in respect of the 25% interest in partnership assets changing hands will be calculated as follows:

Freehold property

MV £400,000 x 25% = £100,000

Goodwill

MV £120,000 x 25% = £30,000

The gains accruing to M are calculated as follows:

Partner M Freehold property Goodwill
     
Disposal proceeds £100,000 £30,000
Less acquisition costs    

£320,000 x 25%

£100,000 x 25%  

£80,000

   

 

£25,000      
  Gains £20,000 £5,000

Example 4

A large professional partnership which consists of 40 partners including Y and Z agree to change their profit sharing ratios. Under the terms of the partnership agreement no payments are made between the partners. Y’s fractional interest is increased and Z’s fractional interest is reduced.

An enquiry establishes the fact that Y and Z are connected persons under TCGA92/S286 (2) as they are brothers but that none of the other partners are connected persons other than by virtue of the partnership relationship.

Part of the increase in Y’s interest in the partnership assets is attributable to the decrease in Z’s interest. As Y and Z are connected by a family relationship the market value rule would normally be applied to the extent that Z has disposed of part of his fractional interest in partnership assets to Y. However, paragraph 7 of SP D12 explains that as the facts show that the arrangement whereby no payments were made between Y and Z was a genuine commercial arrangement that applied to all of the partners the market value rule will not be applied.

CG27500 explains the rules that apply on disposals arising on a change in fractional interests in partnership assets.