A gain arising on a direct disposal of an interest in UK land is chargeable to tax under the non-resident capital gains tax (NRCGT) rules where the person disposing of the property is not resident in the UK. For an overview of the NRCGT rules for direct disposals, see C1.108. The current regime applies to direct disposals of land on or after 6 April 2019 and applies, broadly, to tax only the gain arising from that date, or an earlier date where a disposal of the land would have been chargeable under the previous NRCGT regime. There are therefore special computational rules to achieve that outcome.
This article discusses the second category of special rules for direct disposals of residential property that were within the scope of the previous NRCGT regime, which commenced on 6 April 2015, and essentially preserves the position that would have applied under those rules.
Direct disposals of interests in UK land are chargeable to tax under this
To continue reading
View the latest version of this document, as well as thousands of others like it, sign in to Tolley+™ Research or register for a free trial
Web page updated on 21 Mar 2025 09:43