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Contents

Official guidance
Business Income Manual

BIM60300 · Measuring the profits (particular trades): land transactions (before 16 March 2016)

  • BIM60305 · Transactions in land: Overview
  • BIM60307 · Transactions in land: Straightforward transactions of purchase and sale
  • BIM60310 · Transactions in land: Conditions
  • BIM60315 · Transactions in land: Territorial scope
  • BIM60320 · Land transactions: Conditions: Motive test
  • BIM60325 · Transactions in land: Person obtaining the gain
  • BIM60328 · Transactions in land: Provider of value or opportunity
  • BIM60330 · Transactions in land: Right to recover the tax from another person
  • BIM60333 · Transactions in land: Computation
  • BIM60335 · Transactions in land: Period in which the gain is taxed
  • BIM60337 · Transactions in land: Transactions, arrangements, sales and realisations
  • BIM60340 · Transactions in land: Common situations
  • BIM60345 · Transactions in land: Common situations: Diversion schemes
  • BIM60350 · Transactions in land: Common situations: 'Slice of the action' contracts
  • BIM60355 · Transactions in land: Common situations: 'Slice of the action' contracts: Identification
  • BIM60360 · Transactions in land: Common situations: 'Slice of the action' contracts: Portion of charge may be exempt
  • BIM60365 · Transactions in land: Common situations: 'Slice of the action' contracts: Portion of charge may be exempt: Example
  • BIM60370 · Transactions in land: Exemptions: Profit chargeable as trading income
  • BIM60375 · Transactions in land: Exemptions: Principal private residence
  • BIM60395 · Transactions in land: Clearance applications: Overview
  • BIM60400 · Transactions in land: Clearance applications: conditions for application
  • BIM60405 · Transactions in land: Clearance applications: Reference to BAI Business Profits
  • BIM60410 · Transactions in land: Clearance applications: Time limit
  • BIM60415 · Transactions in land: Clearance applications: Obtaining further information
  • BIM60420 · Transactions in land: Clearance applications: Acceptance
  • BIM60425 · Land transactions: Clearance applications: Refusal
  • BIM60430 · Transactions in land: Clearance applications: Form of words to accept or refuse clearance
  • BIM60435 · Transactions in land: Clearance applications: Multiple applications in relation to the same transaction
  • BIM60450 · Transactions in land: Definitions: Land
  • BIM60455 · Transactions in land: Definitions: Property deriving its value from land
  • BIM60460 · Transactions in land: Definitions: Developed
  • BIM60465 · Transactions in land: Definitions: Disposal
  • BIM60470 · Land transactions: Definitions: Gain of a capital nature
  • BIM60475 · Land transactions: Definitions: Connected person
  • BIM60480 · Transactions in land: Definitions: Another person
  • BIM60500 · Transactions in land: Tax cases
  1. Measuring the profits (particular trades): land transactions (before 16 March 2016): contents
  2. Transactions in land: Clearance applications: Acceptance

BIM60420 | Transactions in land: Clearance applications: Acceptance

From HM Revenue & Customs · Business Income Manual

S770 Income Tax Act 2007, S831 Corporation Tax Act 2010

This guidance applies only if you are an officer authorised to deal with clearance applications (see BIM60395).A clearance should be given if:

  • you are the appropriate officer (see BIM60400),

  • you are given all the necessary background information (see BIM60410),

  • you are satisfied that the transactions in land provisions do not apply (see BIM60310).

For a form of words that can be used to notify the taxpayer that clearance has been given, see BIM60430.

For guidance on refusing the application, see BIM60425.

Scope of the clearance

Where a clearance is accepted it is only appropriate to the particular applicant.

For example, a clearance will have no effect in relation to:

  • another party to the transaction (see BIM60435),

  • taxing the person who provided the value or opportunity so that the applicant can realise the gain (see BIM60328).

Consequences of giving clearance

Once you give clearance that the transactions in land provisions do not apply, HMRC cannot invoke these rules in respect of that disposal in relation to that taxpayer.

If, later, it is discovered that the particulars given were incomplete or inaccurate, the clearance is void and would not prevent an enquiry being opened or a discovery assessment being made (as appropriate). The fact that the applicant was not in a position to provide all the material information at the time of the application does not prevent the clearance being void, if further information which would have affected the decision subsequently comes to light.

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