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(1)This section applies where—
(a)a contract for a land transaction (“the original contract”) is entered into under which the transaction is to be completed by a conveyance, and
(b)there is an assignment, subsale or other transaction (relating to the whole or part of the subject-matter of the original contract) as a result of which a person other than the original purchaser becomes entitled to call for a conveyance to him.
References in the following provisions of this section to a transfer of rights are to any such assignment, subsale or other transaction.
(2)The transferee is not regarded as entering into a land transaction by reason of the transfer of rights, but section 44 (contract and conveyance) has effect in accordance with the following provisions of this section.
(3)That section applies as if there were a contract for a land transaction (a “secondary contract”) under which—
(a)the transferee is the purchaser, and
(b)the consideration for the transaction is—
(i)so much of the consideration under the original contract as is referable to the subject-matter of the transfer of rights and is to be given (directly or indirectly) by the transferee or a person connected with him, and
(ii)the consideration given for the transfer of rights.
The substantial performance or completion of the original contract at the same time as, and in connection with, the substantial performance or completion of the secondary contract shall be disregarded.
(4)Where there are successive transfers of rights, subsection (3) has effect in relation to each of them.
The substantial performance or completion of the secondary contract arising from an earlier transfer of rights at the same time as, and in connection with, the substantial performance or completion of the secondary contract arising from a subsequent transfer of rights shall be disregarded.
(5)Where a transfer of rights relates to part only of the subject-matter of the original contract, subsection (8)(b) of section 44 (restriction of charge to tax on subsequent conveyance) has effect as if the reference to the amount of tax chargeable on that contract were a reference to an appropriate proportion of that amount.
(6)Section 839 of the Taxes Act 1988 (connected persons) applies for the purposes of subsection (3)(b)(i).
(7)In this section “contract” includes any agreement and “conveyance” includes any instrument.
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