Capital gains information

UK TAX ON CAPITAL GAINS

For UK Capital Gains Tax purposes, the market value of ordinary shares at 31 March 1982 was 163p. This value should be adjusted for the effects of (i) subsequent relevant events, and (ii) the indexation allowance.

The market value of ordinary shares at 31 March 1982 in Stakis plc was 57p.

The relevant events that have occurred subsequent to 31 March 1982 are as follows:

Date of first day of dealing Event
11 Jun 1984 Rights issue of one for five at 191p
24 Mar 1987 Rights issue of three for ten at 375p
15 Oct 1987 Rights issue of one for five at 378p
03 Jul 1989 Capitalisation issue of one for one
01 Jul 1991 Share alternative to the 1990 final dividend at 278.2p
17 Sep 1991 Rights issue of one for four at 220p
02 Jan 1992 Share alternative to the 1991 interim dividend at 253.2p
01 Jul 1992 Share alternative to the 1991 final dividend at 213.4p
04 Jan 1993 Share alternative to the 1992 interim dividend at 159.6p
25 Jun 1993 Enhanced share alternative to the 1992 final dividend at 173.5p
01 Jun 1994 Share alternative to the 1993 final dividend at 190.2p
01 Dec 1994 Share alternative to the 1994 interim dividend at 153.4p
01 Jun 1995 Share alternative to the 1994 final dividend at 171.6p
03 Jun 1996 Share alternative to the 1995 final dividend at 189p
02 Dec 1996 Share alternative to the 1996 interim dividend at 205.7p
02 Jun 1997 Share alternative to the 1996 final dividend at 224.2p
01 Dec 1997 Share alternative to the 1997 interim dividend at 295.9p
01 Jun 1998 Share alternative to the 1997 final dividend at 345.4875p
01 Dec 1998 Share alternative to the 1998 interim dividend at 217.85p
13 Apr 2006 Consolidation of the share capital by the replacement of 17 old Hilton shares with 6 new Ladbrokes shares
26 Oct 2009 Rights issue of one for two at 95p

The UK law governing capital gains tax is complex and its effect on each Ladbrokes Coral Group plc shareholder depends on the precise circumstances that apply (for example, whether all, some or no rights issue have been taken up). As a result it is not possible to give individual guidance to shareholders who are subject to UK tax in respect of chargeable gains.

Ladbrokes Coral Group plc

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