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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: Form of words to accept or refuse clearance

BIM60430 | Transactions in land: Clearance applications: Form of words to accept or refuse clearance

From HM Revenue & Customs · Business Income Manual

S770 Income Tax Act 2007 (ITA 2007), S831 Corporation Tax Act 2010 (CTA 2010)

This guidance applies only if you are an officer authorised to deal with clearance applications (see BIM60395).Please use the following form of words, suitably adapted to the particular circumstances, for granting, or refusing, clearances:

‘Thank you for your application under [S770 ITA 2007 / S831 CTA 2010] received on [date].

In that application you supply particulars of a gain of a capital nature that [has arisen/will arise] from [a/an indirect] disposal of land, to which you consider [S765(3)(a),(b) or (d) ITA 2007 / S819(2)(a),(b) or (d) CTA 2010] may apply.

I [am/am not] satisfied that, in the circumstances described in the application, the gain will not be chargeable to tax under those provisions’.

The ITA 2007 references apply for Income Tax purposes and the CTA 2010 references apply for Corporation Tax purposes. You should take every care to refer to the correct provision. If, exceptionally, you issue a clearance which refers to the wrong provision by mistake, this is treated as if it referred to the correct provision (i.e. it does not invalidate the clearance).

Trading transactions

It is possible that although a clearance under the transactions in land rules is appropriate, the transaction may be a land trading transaction (see BIM60000 onwards).

In such cases please add a paragraph to the letter above stating that the provision of a clearance does not prevent HMRC from taxing the profit from the transaction as trading income where it is appropriate to do so (see BIM60305 regarding the priority of taxing provisions). However, you should not proceed with this course of action until you have consulted with CTISA (Technical).

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