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United Kingdom Special Commissioners of Income Tax Decisions |
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You are here: BAILII >> Databases >> United Kingdom Special Commissioners of Income Tax Decisions >> Underwood v Revenue & Customs [2007] UKSPC SPC00614 (16 May 2007) URL: http://www.bailii.org/uk/cases/UKSPC/2007/SPC00614.html Cite as: [2007] UKSPC SPC00614, [2007] UKSPC SPC614, [2007] STC (SCD) 659, [2007] STI 1795 |
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Spc00614
CAPITAL GAINS TAX time of disposal - sale of land - Appellant contracted to sell land and on same day purchaser gave Appellant option to re-purchase before sale to original purchaser completed Appellant exercised option to re-purchase - Appellant then contracted to sell to a company connected with Appellant - only transfer executed by Appellant was transfer to connected company - whether a disposal of land to, and acquisition by, original purchaser no - if so, whether date of disposal and acquisition of land for purposes of capital gains tax was date of contract to sell to original purchaser as argued by Appellant no appeal dismissed TCGA 1992 s 28
THE SPECIAL COMMISSIONERS
PHILIP JOHN UNDERWOOD
Appellant
- and -
THE COMMISSIONERS FOR HER MAJESTY'S
REVENUE AND CUSTOMS
Respondents
SPECIAL COMMISSIONERS: THEODORE WALLACE
DR A N BRICE
Sitting in London on 4 and 5 April 2007
Patrick C Soares and Hui Ling McCarthy, Counsel, instructed by Scrutton Bland, Chartered Accountants, for the Appellant
Christopher Tidmarsh QC, instructed by the Solicitor for HM Revenue and Customs, for the Respondents
© CROWN COPYRIGHT 2007
DECISION
The appeal
The legislation
"28 Time of disposal and acquisition where asset disposed of under contract
(1) where an asset is disposed of and acquired under a contract the time at which the disposal and acquisition is made is the time the contract is made (and not, if different, the time at which the asset is conveyed or transferred)."
The issue
The evidence
The facts
1990 the Appellant acquires the property
1991 - 1993 the Appellant has financial difficulties
1993 the contract to sell to Rackham Ltd
"The property is sold subject to all adverse interests and other matters contained or referred to in the title deduced except all charges securing money on the property"
The Appellant accepted that he had instructed Mr Cunningham, his solicitor, to make sure that the contracts were signed and exchanged before 5 April 1993 because of advice he had received from his accountants. The Appellant's written evidence, which was not challenged, was that although the accountants' advice "might have affected the timing of the sale, that is most definitely all. The sale itself took place irrespective of my tax affairs."
1993 The Appellant's claim for capital losses and the first assessment
1993 1994 negotiations with the Bank
29 November 1994 the exercise of the option
The Brickfields contract
The returns for the tax years ending on 5 April 1994 and 1995
Appellant's Submissions
Revenue Submissions
Conclusions
"There is no statutory definition of disposal, but having regard to the context, what is envisaged by that expression is a transfer of an asset (i.e. of ownership of an asset), as widely defined, by one person to another."
THEODORE WALLACE
NUALA BRICE
SPECIAL COMMISSIONERS
RELEASE DATE: 16 May 2007
Authorities referred to in argument or skeletons but not mentioned in the Decision
Finance Act 1962 Schedule 9 paragraph 1 (now repealed)
Inheritance Tax Act 1984 sections 3 and 10
Value Added Tax Act 1994 section 5(2)(b)
Finance Act 2003 section 43(2)
IRC v G Angus & Co (1889) 23 QBD 579
Chesterfield Brewery Co v IRC (1899) 2 QB 7 at 12
Oughtred v IRC (1960) AC 206 at 233
Henty and Constable (Brewers ) Limited v IRC (1961) 3 All ER 1146 at 1149
Fitch Lovell Ltd v IRC (1962) 3 All ER 685 at 696
Aberdeen Construction Group Ltd v IRC [1978] STC 127 at 134b-c.
Craven v White [1988] STC 476, HL at 505
Shorter Oxford English Dictionary
Sergeant and Sims on Stamp Duties
A New Land Law, Hart Publishing at 8.49
SC 3084/2006