BLM71425 | ’Income-into-capital’ schemes and back loaded leases: 'Income-into-capital' schemes: Purchase options: granted to
From HM Revenue & Customs · Business Leasing Manual
In an income-into-capital scheme the purchase option may be held by:
the Borrower’s lessee company; or
a company connected to that lessee company; or
conceivably an unconnected third party who has an option to acquire the asset from the Bank group while the Borrower group has another option to acquire the asset (or a similar asset) from the third party.