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Contents

Official guidance
Business Income Manual

BIM100000 · Miscellaneous income

  • BIM100101 · Scope of the provisions: overview
  • BIM100105 · Scope of the provisions: judicial comment
  • BIM100110 · Scope of the provisions: services
  • BIM100115 · Scope of the provisions: services - contracts and arrangements
  • BIM100120 · Scope of the provisions: services - amount of work done
  • BIM100125 · Scope of the provisions: sweep-up - introduction
  • BIM100130 · Scope of the provisions: sweep-up - judicial comment
  • BIM100135 · Scope of the provisions: isolated sales of assets
  • BIM100140 · Scope of the provisions: series of sales of assets
  • BIM100150 · Calculating the profits
  • BIM100155 · Deductions
  • BIM100190 · Losses
  • BIM100205 · Particular sources: authors
  • BIM100210 · Particular sources: cash-backs
  • BIM100215 · Particular sources: guarantees
  • BIM100220 · Particular sources: hire of equipment
  • BIM100225 · Particular sources: loans
  • BIM100230 · Particular sources: newspaper stories
  • BIM100235 · Particular sources: photography
  • BIM100240 · Particular sources: restraint of trade
  • BIM100245 · Particular sources: film and television
  • BIM100250 · Particular sources: tolls
  1. Miscellaneous income: contents
  2. Miscellaneous income: particular sources: cash-backs

BIM100210 | Miscellaneous income: particular sources: cash-backs

From HM Revenue & Customs · Business Income Manual

HMRC set out its view of ‘cash-backs’ in Statement of Practice 4/97.

A cash-back received in the course of trading is a receipt of the trade to be included in taxable trade profits.

When a customer, not carrying on a trade or property business, decides to take their business to one concern rather than another, they are not providing that concern with a recognisable service such as to bring them within the scope of the miscellaneous income sweep-up provisions. This applies even if a commission or cash-back which may be received by the customer as consideration for the purchase of goods or services is paid under an enforceable contract separate from the contract for the supply of the goods or services itself.

However, if someone is paid for introducing some other customer to the supplier of goods or services then they are taxable under the miscellaneous income sweep-up provisions if:

  • they are not otherwise chargeable; and

  • the payment is not gratuitous (see BIM100110).

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