The Land and Buildings Transaction Tax (Open-ended Investment Companies) (Scotland) Regulations 2015

Type Scottish-Statutory-Instrument
Publication 2015-09-04
State In force
Jurisdiction Scotland
Department Queen's Printer for Scotland
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Made: 4th September 2015

Laid before the Scottish Parliament: 7th September 2015

Coming into force: 6th October 2015

The Scottish Ministers make the following Regulations in exercise of the powers conferred by section 46 of the Land and Buildings Transaction Tax (Scotland) Act 2013[^f00001] and all other powers enabling them to do so.

Citation and commencement

1

These Regulations may be cited as the Land and Buildings Transaction Tax (Open-ended Investment Companies) (Scotland) Regulations 2015 and come into force on 6th October 2015.

Interpretation

2

In these Regulations, “authorised unit trust” means a unit trust scheme in the case of which an order under section 243 of the Financial Services and Markets Act 2000[^f00002] is in force.

Conversion of an authorised unit trust to an open-ended investment company - exemption from land and buildings transaction tax charge

3

Amalgamation of an authorised unit trust with an open-ended investment company - exemption from land and buildings transaction tax charge

4

Signed

JOHN SWINNEY — A member of the Scottish Government — 4th September 2015

Explanatory note

(This note is not part of the Regulations)

EXPLANATORY NOTE

These Regulations make provision for the exemption from land and buildings transaction tax of land transactions transferring property on the conversion of an authorised unit trust to, or its amalgamation with, an open-ended investment company.

Regulation 3 exempts from land and buildings transaction tax a land transaction transferring property of a unit trust to an open-ended investment company, where the transfer is made as part of the conversion of the trust to the company. Exemption is given where the units of the unit trust are extinguished and the unit holders receive as consideration shares in the company, in proportion to their holdings of units in the trust.

Regulation 4 makes similar provision for exemption from land and buildings transaction tax, where the property is transferred as part of the amalgamation of a unit trust with an open-ended investment company.

Footnotes

[^f00001]: 2013 asp 11.

[^f00002]: 2000 c.8.

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