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Contents

Official guidance
Business Leasing Manual

BLM33005 · Taxation of leases that are not long funding leases: finance lessors: general taxation issues

  • BLM33010 · Timing of taxation of lease rentals receivable
  • BLM33015 · Finance lessors - detail
  • BLM33020 · Example of 'income-into-capital' scheme
  • BLM33025 · 'income-into-capital' schemes - finance lease or operating lease?
  • BLM33030 · 'income-into-capital' schemes - what the lessee's payments are for
  • BLM33035 · ‘income-into-capital’ schemes - what the lessee's payments are for - group scheme
  • BLM33040 · 'grossing up'
  1. Taxation of leases that are not long funding leases: finance lessors: general taxation issues: contents
  2. Taxation of leases that are not long funding leases: finance lessors: general taxation issues: ‘income-into-capital’ schemes - what the lessee's payments are for - group scheme

BLM33035 | Taxation of leases that are not long funding leases: finance lessors: general taxation issues: ‘income-into-capital’ schemes - what the lessee's payments are for - group scheme

From HM Revenue & Customs · Business Leasing Manual

An additional point to consider on the treatment of rentals paid in income-into-capital schemes is whether the lessee’s payments are solely for the purposes of its trade. This may not be so if ultimately the rights of ownership of the asset are enjoyed elsewhere in the lessee’s group.

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