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Official guidance
Business Leasing Manual

BLM70425 · ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 CTA 2010 lease: Condition A

  • BLM70426 · Lease must be a finance lease
  • BLM70430 · ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 CTA 2010 lease: Condition: leasing arrangements
  • BLM70435 · ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 CTA 2010 lease: Condition: finance lease accounting requirement
  • BLM70440 · Lease treated as a loan
  • BLM70445 · ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 of CTA 2010 lease: Condition A: lease treated as an operating lease
  • BLM70455 · ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 of CTA 2010 lease: Condition A: foreign accounting standards
  • BLM70460 · ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 of CTA 2010 lease: Condition A: consolidated accounts
  • BLM70465 · ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 of CTA 2010 lease: Condition A: unincorporated lessors
  • BLM70470 · Finance lease wrongly treated as operating lease
  • BLM70475 · Different treatment in group consolidated accounts
  • BLM70480 · Group consolidated accounts - 'materiality'
  • BLM70485 · ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 of CTA 2010: Condition A: deemed different treatment in group consolidated accounts
  • BLM70490 · ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 of CTA 2010 lease: Condition A: circumstances in which deemed different treatment in consolidated accounts
  • BLM70495 · ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 of CTA 2010 lease: Condition A: Deemed different treatment in group consolidated accounts - unincorporated lessors
  • BLM70505 · ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 of CTA 2010 lease: Condition A: incorrect treatment in group consolidated accounts
  • BLM70510 · ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 of CTA 2010 lease: Condition A: treatment in (unconsolidated) accounts of a connected person
  1. ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 CTA 2010 lease: Condition A: contents
  2. ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 of CTA 2010 lease: Condition A: circumstances in which deemed different treatment in consolidated accounts

BLM70490 | ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 of CTA 2010 lease: Condition A: circumstances in which deemed different treatment in consolidated accounts

From HM Revenue & Customs · Business Leasing Manual

The effect of CTA10/S935 (see BLM70485) is that consolidated group accounts in accordance with GAAP are only deemed into existence where you can identify a company incorporated outside the UK which comes within the definition of a ‘parent undertaking’ (CTA10/S935(3)).

In practice this situation is most likely to arise where the lessor is the UK resident subsidiary of a foreign parent company (which would not be subject to the UK Companies Act detailed accounting requirements).

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