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Official guidance
Business Income Manual

BIM60510 · Profits from a trade of dealing in or developing UK land (from 16 March 2016)

  • BIM60515 · Transactions in land: Overview
  • BIM60520 · Profits from a trade of dealing in or developing UK land: Overview
  • BIM60526 · Expansion of territorial scope of Corporation Tax and Income tax: 16th March 2016 amendment of UK/Crown Dependencies double taxation agreements
  • BIM60535 · Expansion of scope of Corporation Tax and Income tax: Exclusion of charge to income tax
  • BIM60550 · Profits from a trade of dealing in or developing UK land: Transactions in UK land: Amounts treated as trading profits
  • BIM60555 · Amounts treated as profits of a trade of dealing in UK land: Conditions
  • BIM60560 · Amounts treated as profits of a trade of dealing in UK land: Main purpose or one of the main purposes
  • BIM60565 · Amounts treated as profits of a trade of dealing in UK land: Person realising a profit or gain
  • BIM60570 · Profits from a trade of dealing in or developing UK land: Disposals of land: profits treated as trading profits
  • BIM60575 · Disposals of property deriving its value from land
  • BIM60585 · Disposals of property deriving its value from land – profits treated as trading profits
  • BIM60590 · Profits from a trade of dealing in or developing UK land: Relevant amount and relevant assets
  • BIM60595 · Profits from a trade of dealing in or developing UK land: Profit already brought into account
  • BIM60600 · Profits from a trade of dealing in or developing UK land: Anti-fragmentation: Fragmented activities overview
  • BIM60605 · Profits from a trade of dealing in or developing UK land: Anti-fragmentation: Fragmented activities rules
  • BIM60610 · Profits from a trade of dealing in or developing UK land: Anti-fragmentation: Relevant Contribution
  • BIM60611 · Profits from a trade of dealing in or developing UK land: Anti-fragmentation: Interest
  • BIM60615 · Profits from a trade of dealing in or developing UK land: Anti-fragmentation: Example
  • BIM60620 · Profits from a trade of dealing in or developing UK land: Calculation of profit or gain
  • BIM60635 · Profits from a trade of dealing in or developing UK land: Tracing value
  • BIM60640 · Profits from a trade of dealing in or developing UK land: Relevance of transactions and arrangements
  • BIM60645 · Profits from a trade of dealing in or developing UK land: 'Slice of the action' contracts and overage arrangements
  • BIM60650 · Profits from a trade of dealing in or developing UK land 'Slice of the action' contracts: Portion of gain relating to period before relevant activities commenced may be exempt
  • BIM60655 · Profits from a trade of dealing in or developing UK land: 'Slice of the action' contracts: Portion of charge may be exempt: Example
  • BIM60660 · Pre-trading expenses – Overview
  • bim60665 · Commencement and transitional provisions: Overview
  • BIM60700 · Anti-Avoidance provisions
  • bim60800 · Definitions: Index
  • BIM60900 · Notification, registration, assessment & payment
  • BIM60905 · Corporation tax: Quarterly Instalment Payments (QIP’S)
  1. Profits from a trade of dealing in or developing UK land (from 16 March 2016): Contents
  2. Profits from a trade of dealing in or developing UK land: Anti-fragmentation: Fragmented activities rules

BIM60605 | Profits from a trade of dealing in or developing UK land: Anti-fragmentation: Fragmented activities rules

From HM Revenue & Customs · Business Income Manual

The fragmented activities rules apply where all of the following conditions are met:

  • A company (‘C’) or a person chargeable to income tax (‘P’) disposes of land in the UK,

  • Any of conditions A to D in S356OB CTA 2010 or S517B ITA 2007 are met in relation to that land, and

  • A person (‘R’) who is associated with C/P at a relevant time has made a relevant contribution to:

    • The development of land.

    • Any other activities directed towards realising a profit or gain from the disposal of the land.

Where the fragmented activities rules apply, C/P and R will be considered as though they were the same person. This means, any profit or gain realised by C/P will be calculated as if C/P and R were one.

The fragmentation rules will apply when C realises a profit or gain on the disposal of land. This means that C/P would be taxed on R’s contributions at this point. If any of those contributions have already been taxed in the UK, HMRC would not look to tax them again.

Only profits of R that are directly attributable to C/P are taxed in that entity, while R’s other [unrelated] profits remain taxable in R.

Where any amount is paid by R to C/P for the purpose of meeting or reimbursing the cost of corporation tax or income tax which C/P is liable to pay as a result of this rule:

  • The amount will not be taken into account in calculating profits or losses of R or C/P for the purposes of income tax or corporation tax; and

  • Will not for any purpose of the Corporation Tax Acts be regarded as a distribution.

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