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4. Takeovers
(a)
Where a takeover is a share for share exchange, also known as a paper for paper transaction,
the shareholders of the company taken over receive shares in the acquiring company. This
normally does not constitute a disposal for CGT purposes as no cash is received and the
taxpayer simply acquires shares in the takeover company on a
proportionate basis to the
shares held in the existing company.
(b)
The new shares are deemed to have been acquired at the same cost as the original shares.
(c)
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