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Contents

Official guidance
Business Income Manual

BIM41050 · Specific receipts: reverse premiums

  • BIM41051 · Meaning of ‘reverse premium’ and terms used in connection with reverse premiums
  • BIM41052 · Receipts: reverse premiums: the commercial background
  • BIM41055 · The legislation
  • BIM41060 · Tax treatment of the payer
  • BIM41075 · Meaning of ‘payment or other benefit’
  • BIM41085 · Fitting out costs
  • BIM41090 · Contributions to fitting out costs on assets qualifying for capital allowances
  • BIM41105 · Conveyance of a freehold
  • BIM41110 · Assignment of a lease
  • BIM41125 · Timing of the receipt - the normal case
  • BIM41130 · Timing of the receipt: the avoidance case: how to recognise it
  • BIM41135 · Timing of the receipt: timing in the avoidance case
  • BIM41140 · Specific exclusions
  1. Specific receipts: reverse premiums: contents
  2. Specific receipts: reverse premiums: tax treatment of the payer

BIM41060 | Specific receipts: reverse premiums: tax treatment of the payer

From HM Revenue & Customs · Business Income Manual

The tax consequences for a person who pays a reverse premium are unaffected by the legislation treating the payment as revenue in the hands of the recipient. The tax treatment continues to be determined by general principles.

If the payer is a builder or developer who pays the reverse premium in the course of a trade, it is likely to be an allowable deduction in computing trade profits. It is part of the cost of realising trading stock.

If the payer is a landlord, the premium will not be an allowable deduction in computing rental business income. The let property for which the reverse premium is paid will be a fixed capital asset of the letting business. The purpose of paying the reverse premium will be to enhance the value of that asset by securing an income stream in respect of it. Thus, it will be a payment on capital account.

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