Once a capital gains group exists:
- Chargeable assets are transferred between group companies at no gain, no loss. This is automatic and no election is required.
- An election can be made to transfer the whole or part of a chargeable gain or current year allowable loss from one group company to another.
- All of the companies in the group are treated as a single company for the purposes of rollover relief.
- In addition, intangible fixed assets are transferred at a value that gives rise to neither a profit nor a loss. This is automatic and no election is required.
Companies resident overseas
Companies resident overseas are included within a capital gains group. However, the advantages available to such groups are restricted to companies resident in the UK or companies resident overseas which have a permanent establishment in the UK. If K Ltd in the Q Ltd group were owned by J Inc, a company resident and trading outside the UK, rather than J Ltd, the members of the Q Ltd capital gains group would not change. However, no gain, no loss transfers, and the other advantages of capital gains groups, would only be available between Q Ltd, K Ltd and L Ltd and between G Ltd, H Ltd and I Ltd as before.
Conclusion
It is vital to be able to identify the members of a group relief group and a capital gains group. It is then necessary to consider the planning opportunities available to the companies concerned. These opportunities are considered in the remaining parts of this article.
Note: Corporation tax issues are considered in two further articles:
- Corporation tax for Paper P6 (UK)
- Corporation tax – Group relief for Paper P6 (UK)
Written by a member of the Paper P6 examining team
The comments in this article do not amount to advice on a particular matter and should not be taken as such. No reliance should be placed on the content of this article as the basis of any decision. The author and the ACCA expressly disclaims all liability to any person in respect of any indirect, incidental, consequential or other damages relating to the use of this article.