The Court of Appeal held that the transfer took place in March, meaning the taxes were not due. Although legal title passed to the claimants only when the shares were finally registered by the company, the beneficial title passed as soon as Mr Rose completed the share transfer forms. Once he did this he was not at liberty to merely cancel the transfer, and so when he handed away the forms, the shares were held on constructive trust.
Lord Evershed MR distinguished
Milroy v Lord on the basis that there, Thomas Medley could have himself done more to ensure that the transfer was completed, because he did not merely need to leave Samuel Lord with an (unexercised) power of attorney to register the share transfer. Here the donor (Mr Rose) had done everything in his power that he had needed to do to make the transfer effective. Jenkins LJ and Morris LJ both concurred, with the former delivering a concurring judgment. ==See also==