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Official guidance
Business Income Manual

BIM90000 · Post-cessation receipts and expenses

  • BIM90005 · Has the trade ceased?
  • BIM90010 · Charge to tax
  • BIM90015 · Territorial scope of the provisions
  • BIM90020 · Person liable to tax
  • BIM90025 · Amount arising is relevant UK earnings
  • BIM90030 · Meaning of post-cessation receipts
  • BIM90035 · Meaning of post-cessation receipts: debts paid after cessation
  • BIM90040 · Meaning of post-cessation receipts: debts released after cessation
  • BIM90045 · Meaning of post-cessation receipts: receipts relating to post-cessation expenses
  • BIM90050 · Meaning of post-cessation receipts: transfer of rights if transferee does not carry on the trade
  • BIM90055 · Receipts which are not post-cessation receipts: transfer of trading stock
  • BIM90060 · Receipts which are not post-cessation receipts: transfer of work in progress
  • BIM90065 · Receipts which are not post-cessation receipts: lump sums paid to personal representatives for copyright
  • BIM90070 · Receipts which are not post-cessation receipts: Transfer of rights if the transferee carries on the trade
  • BIM90075 · Election to carry back post-cessation receipts
  • BIM90080 · Meaning of post-cessation expenses
  • BIM90085 · Other provisions relieving expenses incurred after the cessation of the trade
  • BIM90090 · Overview of reliefs for post-cessation expenses
  • BIM90095 · Relief for post-cessation expenses against post-cessation receipts
  • BIM90100 · Post-cessation trade relief
  • BIM90105 · Post-cessation trade relief: reduction for unpaid trade expenses
  • BIM90110 · Post-cessation trade relief: meaning of qualifying payment
  • BIM90115 · Post-cessation trade relief: meaning of qualifying event
  • BIM90120 · Post-cessation trade relief: targeted anti-avoidance provision
  • BIM90125 · Post-cessation trade relief: interaction with relief for liabilities of a former employment
  • BIM90130 · Post-cessation expenses set against chargeable gains
  • BIM90135 · Carry forward of unrelieved post-cessation expenses
  1. Post-cessation receipts and expenses: contents
  2. Post-cessation receipts and expenses: meaning of post-cessation receipts: transfer of rights if transferee does not carry on the trade

BIM90050 | Post-cessation receipts and expenses: meaning of post-cessation receipts: transfer of rights if transferee does not carry on the trade

From HM Revenue & Customs · Business Income Manual

S251 Income Tax (Trading and Other Income) Act 2005, S194 Corporation Tax Act 2009

The sale or gift of rights to a future post-cessation receipt might itself be a post-cessation receipt

This guidance applies where a person ceases trading and transfers the right to receive a sum that would be a post-cessation receipt to someone who does not take over the trade.

Provided the assignment of the rights takes place after the trade has ceased, the value received in consideration is itself a post-cessation receipt in the hands of the transferor.

The amount of the consideration depends on the circumstances of the transfer. If:

  • the transfer is made at arm’s length, the post-cessation receipt is the amount or value of the consideration paid by the transferee, or

  • the transfer is not at arm’s length, the post-cessation receipt is the amount equivalent to the market value of the rights transferred.

The transferee is not taxable on the amounts received following the assignment of the rights under the post-cessation legislation. Instead, the transferee may be taxable under the trading or miscellaneous income legislation depending on the facts of the case.

If the transfer of the rights takes place prior to the cessation of the trade, the consideration would normally be a trading receipt in the hands of the transferor.

Exclusions to this rule

These rules do not apply to:

  • transfers of trading stock (see BIM90055)

  • transfers of work in progress (see BIM90060) *

  • lump sums paid to personal representatives for copyright etc (see BIM90065) *

* does not apply to companies subject to Corporation Tax.

Transferee takes over the trade

For the situation where the person receiving the transfer is the person who takes over the trade, see BIM90070.

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