“An individual is eligible for relief under this Chapter (‘share loss relief’) if – (a) the individual incurs an allowable loss for capital gains tax purposes on the disposal of any shares in any tax year (‘the year of the loss’), and (b) the shares are qualifying shares. This is subject to subsections (3) and (4) and section 136(2).”
“Upon a literal construction the word ‘thereupon’ most naturally relates back to the words ‘he may allow’. That literal construction may give rise to arbitrary consequences if, for instance, as a result of delay on the part of the Inspector, a claim made in one tax year is allowed in a subsequent tax year. In practice, as it apparent from the statement that I have read, the Revenue have always construed subsec (4) as if the word ‘thereupon’ related back to the words ‘on a claim by the owner of the asset’. That, I think, is a permissible construction, and I can see great force in the argument that if it is a permissible construction it should be preferred to a construction which fixes the possibly arbitrary date when the claim is allowed.”
“s 74(1) If a person chargeable to income tax dies, the executor or administrator of the person deceased shall be liable for the tax chargeable on such deceased person……”
“The trustee, guardian, tutor, curator or committee of any incapacitated person having the direction, control or management of the property or concern of any such person, …shall be assessable and chargeable to income tax in like manner and to the like amount as that person would be assessed and charged if he were not an incapacitated person. ….”
“(1) This Part of this Act (except section 76 above) shall apply in relation to capital gains tax as it applies in relation to income tax, and subject to any necessary modifications. (2) This Part of this Act as applied by this section shall not affect the question of who is the person to whom chargeable gains accrue, or who is chargeable to capital gains tax, so far as that question is relevant for the purpose of any exemption, or of any provision determining the rate at which capital gains tax is chargeable.”