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Contents

Official guidance
Business Income Manual

BIM14000 · Taxation of trading income

  • BIM14005 · Trading income: overview
  • BIM14010 · Trading income: trades, professions and vocations
  • BIM14015 · Trading income: interpretation - ‘trade’ or ‘business’
  • BIM14020 · Trading income: priority rules
  • BIM15010 · Trade profits: scope
  • BIM15015 · Trade profits: who is chargeable?
  • BIM15020 · Trade profits: general principles
  • BIM15025 · Trade profits: capital or revenue?
  • BIM15030 · Trade profits: relationship to capital gains tax
  • BIM15035 · Trade profits: receipts not chargeable - source doctrine
  • BIM15040 · Trade profits: what is chargeable?
  • BIM15045 · Trade profits: statute - overview
  • BIM15050 · Trade profits: statute - main charging provisions
  • BIM15055 · Trade profits: statute - supplementary charging provisions
  • BIM15060 · Trade profits: Statute - supplementary charging provisions - farming
  • BIM15065 · Trade profits: statute - supplementary charging provisions - occupation of land
  • BIM15070 · Trade profits: statute - supplementary charging provisions - mines, quarries and other concerns
  1. Taxation of trading income: contents
  2. Trade profits: statute - supplementary charging provisions - occupation of land

BIM15065 | Trade profits: statute - supplementary charging provisions - occupation of land

From HM Revenue & Customs · Business Income Manual

SS10, 11 Income (Trading and Other Income) Act 2005; SS37, 38 Corporation Tax Act 2009

The occupation of land in the UK for any purpose is treated as the carrying on of a trade or a part of a trade provided that the land is managed on a commercial basis and with a view to the realisation of profits. Profits are therefore chargeable to Income Tax or Corporation Tax as trading income. This rule does not apply to:

  • farming or market gardening;

  • land being prepared for forestry purposes;

  • woodlands (see below); or

  • the occupation by an insurance company of land which is an asset held by the company for the purposes of its long-term business.

Occupation of woodlands

The occupation of woodlands managed on a commercial basis and with a view to the realisation of profits is not treated as the carrying on of a trade or a part of a trade. Profits are therefore not chargeable as trading income. Guidance on this topic is at BIM67701.

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