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Capital Gains Manual

CG65257 - Private residence relief: realising gain: acquisition of freehold

In January 2004 an individual acquires a 99 year lease of a dwelling house with 63 years of the lease remaining, at a cost of £60,000. He uses the dwelling house as his only residence. In 2013 he decides to sell the house. To increase its value he acquires the freehold for a payment of £40,000 in February 2013. The house is sold in March 2014 for £250,000. The Valuation Office agrees that if the leasehold interest had been sold in March 2014 it would have fetched £160,000.

The part of the gain which is excluded from relief because of the application of TCGA92/S224 (3) is computed as follows.

Description

Total Gain (£)

Exempt Gain (£)

Non-exempt gain (£)

1) Disposal proceeds

250,000

-

-

2) Value of leasehold interest

-

160,000

-

Consideration resulting from

-

-

-

acquisition of freehold (1) - (2)

-

-

90,000

less Cost of leasehold

60,000

60,000

-

less Cost of freehold

40,000

-

40,000

Gain

150,000

100,000

50,000

The chargeable gain is £50,000 subject to annual exempt amount.