Commentary on Sections

Part 8 – Interpretation and Final Provisions

Schedule 19 - Open-ended investment company reliefs

Relief from land transaction tax: amalgamation of an authorised unit trust with an open-ended investment company

403.Paragraph 2 of this Schedule outlines the conditions under which relief from LTT may be available where there is a land transaction transferring property subject to the trusts of an authorised unit trust to an open-ended investment company where there is a merger between the two. The conditions provide that relief is restricted to those cases where:

404.For the purposes of this Schedule, “the whole of the available property of the target trust” does not include any property retained for the purpose of discharging liabilities of the trustees.