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Official guidance
Business Leasing Manual

BLM70800 · ’Income-into-capital’ schemes and back loaded leases: Back loaded leases

  • BLM70801 · ‘Income-into-capital’ schemes and back loaded leases: Back loaded leases: taxing the 'accountancy rental earnings'
  • BLM70805 · ‘Income-into-capital’ schemes and back loaded leases: Back loaded leases: accountancy rental earnings - definition
  • BLM70810 · Rental earnings
  • BLM70815 · ‘Income-into-capital’ schemes and back loaded leases: Back loaded leases: accountancy rental earnings
  • BLM70820 · Accountancy rental earnings - connected persons and consolidated accounts
  • BLM70825 · Normal rent
  • BLM70830 · ‘Income-into-capital’ schemes and back loaded leases: Back loaded leases: normal rent - property income
  • BLM70835 · ‘Income-into-capital’ schemes and back loaded leases: Back loaded leases: normal rent - trading income
  • BLM70845 · ‘Income-into-capital’ schemes and back loaded leases: Back loaded leases: negative depreciation - new leases
  • BLM70850 · ‘Income-into-capital’ schemes and back dated leases: Back loaded leases: period of account
  • BLM70855 · Periods of account straddling 26 November 1996
  • BLM70860 · Accountancy rental earnings - when they accrue, a worked example
  • BLM70865 · Normal rent - when it accrues
  • BLM70870 · Comparing accountancy rental earnings and normal rent
  • BLM70875 · Where accountancy rental earnings and normal rent are the same
  • BLM70880 · ‘Income-into-capital’ schemes and back loaded lease: Back loaded leases: CTA10/S928 - approach in practice
  1. ’Income-into-capital’ schemes and back loaded leases: Back loaded leases: contents
  2. ’Income-into-capital’ schemes and back loaded leases: Back loaded leases: normal rent

BLM70825 | ’Income-into-capital’ schemes and back loaded leases: Back loaded leases: normal rent

From HM Revenue & Customs · Business Leasing Manual

‘Normal rent’ from a lease is defined in CTA10/S896 as the sums which would be taxable as rent on the lessor under tax law apart from Part 21 of CTA 2010.

HMRC guidance on what counts as normal rent in the article on Schedule 12 (now Part 21 of CTA 2010) published in the April 1997 issue of Tax Bulletin. That was in the context of Condition C in CTA10/S902(6) (see BLM70561), part of the definition of a lease within Chapter 2, but the following extract from the guidance applies generally for the purposes of Part 21 of CTA 2010.

So long as they are taxable revenue items on first principles, we would regard termination receipts and other sums representing consideration for the hire of the asset as 'normal rent' within paragraph 20 of Schedule 12 (now CTA10/S896).... This is the case whether or not such sums are described as rentals in the relevant documentation. By 'first principles' we mean the basic charging rules of Schedule A \[property income\] or Schedule D \[trading income\] as opposed to special rules, such as the Schedule A premium rules.

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