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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: guarantees

BIM100215 | Miscellaneous income: particular sources: guarantees

From HM Revenue & Customs · Business Income Manual

S687-S689 Income Tax (Trading and Other Income) Act 2005, S979-S981 Corporation Tax Act 2009

If a person agrees to act as guarantor in return for a reward, then they are chargeable under the miscellaneous income sweep-up provisions, if they are not otherwise chargeable.

In Sherwin v Barnes [1931] 16TC278, a guarantee was given in respect of an overdraft in return for the payment of a bonus of £1,000. The guarantor was assessed to Income Tax in respect of his share of that £1,000. Rowlatt J said at pages 280-281:

`The question is simply this: first of all, is this receipt in the nature of income? If it is in the nature of income, then does it fall within the year? That is the way Lord Atkin put it, and I think everybody agreed that that was right. Earning a commission by pledging your credit was held, and considered rightly held, in Ryall v Hoare, to be in the nature of income. There it is, and I cannot get away from that.’

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