CGT on Company Takeovers
October 15th, 2021
by Beach Accountants
When a company takes over another company it may issue its own shares and/or securities in payment or part payment for the shares it’s buying. This is sometimes treated as a share reorganisation.
Where certain conditions are met when the old shares are exchanged for new shares, no capital gain will occur until the new shares are sold. For Capital Gains Tax (CGT) purposes the sale or disposal of any old shares is effectively treated as though the vendor acquired the new shares at the same time and at the same price as the old shares.
Where any cash payments are made for shares as a result of a takeover the monies received are subject to CGT as per the usual rules. There are exceptions where only a small amount of cash compared with the value of your shares in the original company immediately before the takeover is received as part of a takeover transaction. HMRC will accept that a cash receipt on a takeover is 'small' if either it's less than £3,000 in total, or it is not more than 5% of the value of the shares in the original company immediately before the takeover.