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Official guidance
Business Leasing Manual

BLM70560 · ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 of CTA 2010 lease: Condition D

  • BLM70561 · ‘accountancy rental earnings' must exceed 'normal rent'
  • BLM70565 · When it must be satisfied
  • BLM70570 · Meaning of 'accountancy rental earnings'
  • BLM70575 · Definition of rental earnings
  • BLM70580 · ‘Income-into-capital’ schemes and back loaded lease: Definition of a Chapter 2 of Part 21 of CTA 2010 lease: Condition D: definition of 'accountancy rental earnings'
  • BLM70585 · Consolidated group accounts
  • BLM70590 · Periods of account split by 26 November 1996
  • BLM70595 · Comparison with normal rent
  • BLM70600 · Normal rent
  • BLM70605 · Computing normal rent within CT property income before 1 April 1998
  • BLM70610 · Exception to CT property income spreading rule
  • BLM70615 · Example of CT property income spreading rule, a worked example - part 1 of 2
  • BLM70620 · Variation on example, part 2 of 2
  • BLM70625 · ‘Income-into-capital’ schemes and back loaded lease: Definition of a Chapter 2 of Part 21 of CTA 2010 lease: Condition D: spreading rule
  • BLM70635 · Whether 'negative depreciation' counts as 'normal rent'
  1. ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 of CTA 2010 lease: Condition D: contents
  2. ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 of CTA 2010 lease: Condition D: ‘accountancy rental earnings' must exceed 'normal rent'

BLM70561 | ‘Income-into-capital’ schemes and back loaded leases: Definition of a Chapter 2 of Part 21 of CTA 2010 lease: Condition D: ‘accountancy rental earnings' must exceed 'normal rent'

From HM Revenue & Customs · Business Leasing Manual

The condition in CTA10/S902(7) is aimed at excluding leases where the income from a finance lease shown in the accounts drawn up under GAAP, the ‘accountancy rental earnings’, is taxed year by year. Since the GAAP income will represent the full amount of the ‘interest’ on the ‘loan’ as it accrues there is, in these circumstances, no scope for turning income into capital.

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