The London Capital and Finance Compensation Scheme (Chargeable Gains Exemption) Regulations 2021
Citation, commencement and effect1.
(1)
These Regulations may be cited as the London Capital and Finance Compensation Scheme (Chargeable Gains Exemption) Regulations 2021 and come into force on 2nd January 2022.
(2)
These Regulations have effect in relation to disposals made on or after 20th October 2021.
Exemption from capital gains tax for compensation payments to customers under LCF Compensation Scheme2.
(1)
A compensation payment made under the LCF Compensation Scheme is a qualifying payment for the purposes of paragraph 4 of Schedule 15 to the Finance Act 2020.
(2)
In this regulation—
(a)
(b)
Schedule 15 to the Finance Act 2020 provides for exemptions from tax in respect of qualifying payments. Under paragraph 2(5) of that Schedule, the Treasury may by regulations specify compensation payments made by or on behalf of the United Kingdom government to be qualifying payments. Paragraph 4 of the Schedule provides for an exemption from capital gains tax, where a disposal arises as a result of a person forfeiting, surrendering or refraining from exercising rights in return for a qualifying payment and on a disposal of the right to receive a qualifying payment (or an interest in such a right).
Regulation 2 specifies that a compensation payment made under the Scheme is a qualifying payment for the purposes of paragraph 4 of Schedule 15, so that the transfer by customers of their rights in return for the compensation payment, or their disposal of the right to receive such a payment, does not give rise to gains chargeable to capital gains tax.
A Tax Information and Impact Note covering this instrument will be published on the website at https://www.gov.uk/government/collections/tax-information-and-impact-notes-tiins.