Section 151H: Introduction

Taxation of Chargeable Gains Act 1992 · 1992 c. 12View on legislation.gov.uk

Part IV: Shares, securities, options etc. — Chapter 4: Alternative finance arrangements

This Chapter makes provision about the treatment of alternative finance arrangements ... and alternative finance return under such arrangements for the purposes of this Act (see sections 151T to 151Y).

In this Chapter "alternative finance arrangements" means—

purchase and resale arrangements,
diminishing shared ownership arrangements,
deposit arrangements,
profit share agency arrangements, and
investment bond arrangements.

In this Chapter—

"purchase and resale arrangements" means arrangements to which section 151J applies,
"diminishing shared ownership arrangements" means arrangements to which section 151K or 151KA applies,
"deposit arrangements" means arrangements to which section 151L applies,
"profit share agency arrangements" means arrangements to which section 151M applies, and
"investment bond arrangements" means arrangements to which section 151N applies.

For the meaning of "alternative finance return", see sections 151P to 151S.

For the meaning of "financial institution", see section 151I.

Also, see—

section 366 of TIOPA 2010 (power to extend this Chapter and other provisions to other arrangements by order), and
Schedule 61 to FA 2009 (alternative finance investment bonds) which makes further provision about the treatment of investment bond arrangements for the purposes of this Act.

About this text

This legislation text comes from legislation.gov.uk. Contains public sector information licensed under the Open Government Licence v3.0. These source and reuse terms cover the legislation text, not Remedy's commentary.

Reuse reviewed 21 August 2026 under Open Government Licence v3.0.