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Capital Gains Tax - Taper ReliefA capital gain arises when certain capital (or 'chargeable') assets are sold at a profit. The gain is the sale proceeds (net of selling costs) less the purchase price (including acquisition costs). From this a deduction is made to reduce the gain to an amount which is taxable. Please note taper relief does not affect company assets.
|
| Number of complete years asset held after 5.4.98 (including 'bonus' where relevant) |
Non-business taper % |
1 2 3 4 5 6 7 8 9 10 or more 0 |
0 5 10 15 20 25 30 35 40 |
Bruce sold some shares in Glaxo plc for £19,000 in August 2005. They were acquired in 1984 for £5,000.
| £ | |
| Sale Proceeds | 19,000 |
| Less: Cost | (5,000) |
| -------------- | |
| 14,000 | |
| Less: Indexation (say) | (4,000) |
| (to April 1998) | -------------- |
| 10,000 | |
| Less: Taper relief | (3,000) |
| x (7 years + bonus year 30%) | -------------- |
| Chargeable Gain | £7,000 |
For disposals of business assets there is a different table.
| Number of complete years asset held after 5.4.98 | Business taper % |
1 2 or more |
50 75 |
Bruce sold his 30% shareholding in Gordon Ltd for £190,000 in August 2005. It was acquired in 1984 for £50,000.
| £ | |
| Sale Proceeds | 190,000 |
| Less: Cost | (50,000) |
| -------------- | |
| 140,000 | |
| Less: Indexation (say) | (40,000) |
| (to April 1998) | -------------- |
| 100,000 | |
| Less: Taper relief | (75,000) |
| (2 years + 75%) | -------------- |
| Chargeable Gain | £25,000 |
The CGT regime is therefore very attractive provided that the asset has been a business asset throughout the period of ownership (or since April 1998 if acquired earlier than April 1998).
The following assets are currently eligible for business asset taper relief:
The definition of a business asset has changed several times since the introduction of taper relief.
In some circumstances an asset will not wholly qualify for full business asset taper relief. This may be due to a change in the definition of business assets or because the asset has not always been used for a qualifying purpose. In these circumstances part of the gain will qualify for business asset taper and part for non business taper relief. Please contact us for further information on this point.
There have always been special rules to decide which shares have been sold where there is a part disposal of a shareholding in a particular company. In the taper relief system, share sales are matched with the most recent acquisition. This results in the lowest amount of taper being given.
Assuming the shares in question are a non-business asset, no taper will be given on a shareholding which was acquired within three years of the sale. If however a sale is made in 2005/06 of non-business asset shares acquired before 5 April 1998, 30% taper will be given.
The annual exemption for 2005/06 is £8,500. The opportunity to make tax free gains up to this level should not be overlooked.
The sale and almost immediate repurchase of the same shares by the same person cannot however be used to generate a gain.
There are ways around this.
Capital losses must be set against gains before taper relief is calculated. In effect, the loss is tapered.
Where there are several gains made in the year the losses can be set against the gains in the order that produces the lowest tax charge. In effect losses should first be set against gains with the lowest taper relief.
Rosemary makes the following gains in 2005/06:
| £ | Taper relief % | |
| Asset 1 | 2,000 | nil |
| Asset 2 | 15,000 | 75% |
| Asset 3 | 4,000 | 20% |
She also realises a capital loss of £3,000
| £ | £ | |
| Asset 1: Gain | 2,000 | |
| Less: Loss | (2,000) | |
| -------------- | ||
| nil | ||
| Asset 3: Gain | 4,000 | |
| Less: Loss (1,000) | (1,000) | |
| -------------- | ||
| 3,000 | ||
| Less: Taper relief (20%) | (600) | |
| -------------- | ||
| 2,400 | ||
| Asset 2: Gain | 15,000 | |
| Less: Taper relief (75%) | (11,250) | |
| 3,750 |
Where losses are brought forward from earlier years, they only have to be used to the extent that the gains in the year are not covered by the annual exemption.
The Enterprise Investment Scheme (EIS) allows individuals to defer capital gains made on the disposal of any asset so long as the gain is reinvested in shares in a qualifying unquoted trading company (EIS). The ability to defer gains against investments in Venture Capital Trusts was removed from 6 April 2004.
The deferred gain crystallises on a subsequent disposal of the shares unless certain conditions are breached before that time.
Please note:
The taper relief provisions can dramatically affect the amount of CGT payable.
If you are contemplating the sale of your business interests soon please talk to us. We would be happy to discuss the options with you.
Please also contact us if you are interested in deferring CGT liabilities using the EIS scheme.