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Contents

Official guidance
Business Income Manual

BIM55050 · Farming in tax law

  • BIM55051 · Definition of farming
  • BIM55055 · Occupation of land
  • BIM55060 · Farm land let for period of 365 days or more
  • BIM55065 · Short-term grazing lets
  • BIM55070 · Share farming
  • BIM55075 · Tax treatment of share farming agreements
  • BIM55080 · Arrangements which are not share farming
  • BIM55085 · Practical approach to share farming cases
  • BIM55090 · Contract farming
  • BIM55095 · Farming outside the United Kingdom
  • BIM55100 · Wholly or mainly for the purposes of husbandry
  • BIM55105 · Intensive livestock enterprise/fish farms
  • BIM55110 · All farming to be treated as a trade
  • BIM55115 · All farming by same person treated as one trade
  • BIM55120 · Short Rotation Coppice
  1. Farming in tax law: contents
  2. Farming in tax law: tax treatment of share farming agreements

BIM55075 | Farming in tax law: tax treatment of share farming agreements

From HM Revenue & Customs · Business Income Manual

S996(1) Income Tax Act 2007, S1125 Corporation Tax Act 2010

Both parties to a genuine share farming agreement may be accepted as farming (see BIM55051) as they have concurrent rights to the land and both are contributing to an undertaking of husbandry thereon (but see BIM55080 - BIM55085).

For guidance on the application of the herd basis in share farming cases, see BIM55640.

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