This section has effect in relation to any policy of insurance or contract for a deferred annuity on the life of any person.
A gain accruing on a disposal of, or of an interest in, the rights conferred by the policy of insurance or contract for a deferred annuity is not a chargeable gain unless subsection (3) below applies.
This subsection applies if—
have or has at any time been acquired by any person for actual consideration (as opposed to consideration deemed to be given by any enactment relating to the taxation of chargeable gains).
For the purposes of subsection (3) above —
do not constitute actual consideration.
And for those purposes actual consideration for—
is to be treated as not constituting actual consideration.
For the purposes of subsection (5)(a) above a disposal is an approved post-marriage disposal or an approved post-civil partnership disposal if—
Subsection (8) below applies for the purposes of tax on chargeable gains where—
If (disregarding those sections) a loss of a smaller amount would accrue, that smaller amount is to be taken to be the amount of the loss accruing on the disposal; and in any other case, neither a loss nor a gain is to be taken to accrue on the disposal.
But subsection (8) above does not affect the treatment for the purposes of tax on chargeable gains of the person who acquired rights, or an interest in rights, on the disposal.
The occasion of—
is for the purposes of tax on chargeable gains an occasion of a disposal of the rights (or of all of the interests in the rights) conferred by the policy of insurance.
The occasion of—
is for the purposes of tax on chargeable gains an occasion of a disposal of the rights (or of all of the interests in the rights) conferred by the contract for a deferred annuity.
Where there is a disposal on the occasion of the receipt of the first instalment of the annuity under the contract for a deferred annuity—
and no gain accruing on any subsequent disposal of, or of any interest in, the rights is a chargeable gain (even if subsection (3) above applies).
In this section "interest", in relation to rights conferred by a policy of insurance or contract for a deferred annuity, means an interest as a co-owner of the rights (whether the rights are owned jointly or in common and whether or not the interests of the co-owners are equal).