The taxable value of a single-dwelling interest on any day ("the relevant day") is equal to its market value at the end of the latest day that—
Each of the following is a valuation date in the case of any single-dwelling interest—
But a day that is a valuation date only because of subsection (2)(b) (a "5-yearly valuation date") is to be treated as if it were not a valuation date for the purpose of determining the taxable value of a single-dwelling interest on any day in the chargeable period beginning with that 5-yearly valuation date.
The following are also valuation dates in the case of any single-dwelling interest to which a company is entitled on the relevant day (otherwise than as a member of a partnership)—
The following are also valuation dates in the case of any single-dwelling interest to which a company is entitled on the relevant day as a member of a partnership—
The following are also valuation dates in the case of any single-dwelling interest that is on the relevant day held for the purposes of a collective investment scheme—
In this section references to a disposal of part of a single-dwelling interest include the grant of a chargeable interest out of the single-dwelling interest.
The grant of an option does not count as the grant of a chargeable interest for the purposes of subsection (6).