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Contents

Official guidance
Business Income Manual

BIM33450 · Stock: valuation on discontinuance of business

  • BIM33470 · General principles
  • BIM33475 · Decision Flow
  • BIM33480 · Stock transferred to a UK trader
  • BIM33485 · Transfer to unconnected trader - amount realised on sale
  • BIM33495 · Meanings
  • BIM33510 · Stock that is an exception from the general rules
  • BIM33515 · Purchaser's cost value
  • BIM33520 · Death of individual
  • BIM33525 · Stock not transferred to another trader
  • BIM33530 · Examples
  • BIM33540 · Professional work in progress
  • BIM33550 · Resolving disputes
  • BIM33560 · When acquired as part of the acquisition: accountancy treatment
  1. Stock: valuation on discontinuance of business: contents
  2. Stock: valuation on discontinuance of business: resolving disputes

BIM33550 | Stock: valuation on discontinuance of business: resolving disputes

From HM Revenue & Customs · Business Income Manual

S171 Corporation Tax Act 2009 and S186 Income Tax (Trading and Other Income) Act 2005

Where stock has been transferred from a ceasing business to another UK business, and there is a dispute regarding the correct value of the closing stock for the ceasing business and the acquisition cost for the succeeding business then both parties will have to be informed if the dispute is to be resolved by taking the case to the Tribunal to be determined in the same way as an appeal. Any decision will be binding on both parties.

Where the stock is not transferred to another UK business then any enquiry about the value should be resolved using the usual ITSA or CTSA procedure.

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