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Contents

Official guidance
Business Leasing Manual

BLM35000 · Taxation of leases that are not long funding leases: sale and leaseback

  • BLM35005 · Introduction
  • BLM35010 · Accounting treatment - general
  • BLM35015 · Accounting treatment - accounting standards
  • BLM35020 · Accounting as a refinancing exercise
  • BLM35025 · Sale and finance leasebacks - tax adjustments
  • BLM35026 · Sale and finance leasebacks on or after 9 October 2007
  • BLM35030 · Example; part 1 of 3
  • BLM35035 · Example - accounting treatment where sale recognised; part 2 of 3
  • BLM35040 · Taxation of leases that are not long-funding leases: sale and leaseback: example - accounting where sale not recognised; part 3 of 3
  • BLM35045 · Sale of asset for more than original cost
  • BLM35050 · Leased assets made subject to a new finance lease
  • BLM35055 · Tax treatment of sale - capital allowances
  • BLM35060 · Application of sale proceeds
  • BLM35065 · Application of sale proceeds - associated arrangements
  • BLM35070 · Tax treatment of leaseback
  • BLM35075 · Deductibility of rents under leaseback - 'income-into-capital' schemes
  1. Taxation of leases that are not long funding leases: sale and leaseback: contents
  2. Taxation of leases that are not long funding leases: sale and leaseback: deductibility of rents under leaseback - 'income-into-capital' schemes

BLM35075 | Taxation of leases that are not long funding leases: sale and leaseback: deductibility of rents under leaseback - 'income-into-capital' schemes

From HM Revenue & Customs · Business Leasing Manual

Particular issues regarding the deduction of rentals arise where the sale and lease-back transaction is such that the lessor’s tax treatment is subject to Chapters 1 and 2 Part 21 CTA 2010 / Part 11A ITA 2007, that is one where the arrangements enable the lessor to take part of the return on its investment in capital form (‘income-into-capital’ schemes). An example of a typical ‘income-into-capital’ scheme is at BLM33020.

Points to consider on the deduction of the lessee’s rentals are

  • whether or not it is appropriate to recognise rental payments on the basis that this is a finance lease, rather than an operating lease - see BLM33025, and

  • what the payments are for - see BLM33030 onwards.

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