Capital gains tax (CGT) annual exemptionThe annual exemption for 2003/04 is £7,900. For most trusts the exempt limit is increased to £3,950. CGT rates of taxCapital gains continue to be treated as the top slice of income. For 2003/04, rates continue to be aligned with those applying to savings income. Tapered gains are charged at 10% where gains plus total income do not exceed £1,960; 20% between £1,961 and £30,500; and 40% on any balance. Share optionsAs expected the government has introduced measures to reverse the decision in the case of Mansworth v Jelley. Following the case, individuals with unapproved share options and Enterprise Management Incentives were able to reduce any capital gains arising on ultimate sale of the shares. The court held that for CGT purposes, the acquisition cost of the shares was deemed to be their market value at the time the option was exercised plus any amount charged to income tax on the exercise. This had the effect of reducing capital gains or turning capital gains into losses. Furthermore, in the right circumstances it was possible to get tax relief twice on sums that the taxpayer had never actually expended! As expected, the rules are being amended to prevent any further windfalls and to restore the position to what it was generally thought to be before the case. The new rule takes effect for options exercised on or after 10 April 2003. The brief example above right shows the effect of the changes. |
| Example An employee was granted an unapproved option to acquire shares in his employer company at their market value of £10 per share. The option was exercised when the shares were worth £25 per share and then later sold for £28 per share. Following Mansworth v Jelley Taxable as income at exercise = £15 per share CGT base cost of shares = £40 per share* Capital loss on sale = £12 per share * Market value at exercise (£25) plus taxable as income at exercise (£15). Following Budget day announcements Taxable as income at exercise = £15 per share CGT base cost of shares = £25 per share Capital gain on sale = £3 per share |
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| Comment These changes will be welcomed although the delay in their introduction will not. They will remove the current anomaly whereby an investment property let to an unquoted trading company constitutes a business asset but if let to a partnership (in which the owner is not a partner) it does not. |
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| Comment The prospect of a wholescale reform of IHT which was widely predicted when the Labour Party came to power in 1997 seems increasingly unlikely. However the failure of the increases in the nil rate band to keep pace with rising house values does nothing to help the individuals who find themselves potentially within the IHT net as a result. |