STSM022200 - Scope of stamp duty on shares: stamp duty: adjudication, stamps and reliefs: mergers of AUTs
The transfer of property as a consequence of the merger of Authorised Unit Trusts (AUTs) is, subject to certain conditions, relieved from Stamp Duty by the provisions of section 95 FA1997.
The conditions
These are detailed in section 95(2) FA1997:
- the transfer forms part of an arrangement under which the whole of the available property of the target trust is transferred to the trustees of the acquiring trust
- under the arrangement all the units in the target trust are extinguished
- the consideration under the arrangement consists of or includes the issue of units (the "consideration units") in the acquiring trust to the persons who held the extinguished units
- the consideration units are issued to those persons inÌýproportion to their holdings of the extinguished units
- the consideration under the arrangement does not include anything else, other than the assumption or discharge by the trustees of the acquiring trust of liabilities of the trustees of the target trust
How to claim the relief
Adjudication under section 12 SA1891 is required - see STSM022020 for more information.
Collective Investment SchemeÌýmergers â€� generalÌý
HM Revenue and Customs (HMRC) acceptÌýthat following the principles established in the case of Save and Prosper Securities Ltd v CIR (Sp.CÌý251), an amalgamation, partition or reconstruction of Authorised Unit Trusts (AUTs) or Open-Ended Investment Companies (OEICs) (or sub-funds of anÌýAUT or OEIC) that takes its effect under a scheme of arrangement will not be regarded as a transfer on sale and therefore no charge toÌýStamp DutyÌýwill arise.ÌýSee STSM107090 for more information.