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Contents

Official guidance
Business Leasing Manual

BLM32300 · Taxation of leases that are not long funding leases: finance lessees: termination adjustments

  • BLM32305 · Introduction
  • BLM32310 · Terminal rebate
  • BLM32315 · Termination rental
  • BLM32320 · Termination adjustments - whether capital
  • BLM32325 · Operating leases
  • BLM32330 · Adjustments needed for tax purposes
  • BLM32335 · Terminal rebate - SP3/91 not applied
  • BLM32340 · Sale of asset by lessor to lessee
  • BLM32345 · Part exchange of leased assets
  • BLM32350 · Part exchange - hire purchase
  • BLM32355 · One finance lease substituted for another
  • BLM32360 · Example
  • BLM32365 · Rental rebates - special cases
  1. Taxation of leases that are not long funding leases: finance lessees: termination adjustments: contents
  2. Taxation of leases that are not long funding leases: finance lessees: termination adjustments: part exchange - hire purchase

BLM32350 | Taxation of leases that are not long funding leases: finance lessees: termination adjustments: part exchange - hire purchase

From HM Revenue & Customs · Business Leasing Manual

The part exchange problem illustrated by the example at BLM32345 is unique to finance leases. If the asset was bought outright or purchased under an HP type lease, the trade-in value of the asset would decrease, and the cost of the new asset would increase, the capital allowances pool. So by off-setting there would be no net difference. But that is not the case where a finance lease is involved.

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