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Official guidance
Business Leasing Manual

BLM71400 · ’Income-into-capital’ schemes and back loaded leases: 'Income-into-capital' schemes: Purchase options

  • BLM71401 · Object of the purchase option
  • BLM71405 · Cases with no sale-and-leaseback
  • BLM71410 · Leaseback by bank to borrower
  • BLM71415 · Leaseback rental profile
  • BLM71420 · Options for borrower to get asset back
  • BLM71425 · Granted to
  • BLM71430 · When exercisable
  • BLM71435 · Option price
  • BLM71440 · No formal option
  • BLM71445 · Put options
  • BLM71450 · Variations
  1. ’Income-into-capital’ schemes and back loaded leases: 'Income-into-capital' schemes: Purchase options: contents
  2. ’Income-into-capital’ schemes and back loaded leases: 'Income-into-capital' schemes: Purchase options: option price

BLM71435 | ’Income-into-capital’ schemes and back loaded leases: 'Income-into-capital' schemes: Purchase options: option price

From HM Revenue & Customs · Business Leasing Manual

In an income-into-capital scheme the price at which the option may be exercised is designed to (after taking account of the effect of any actual rent payable by Borrower to Bank):

  • provide Bank with a commercial interest return; however this element will be reduced because Bank doesn’t pay tax on it; and

  • repay the ‘loan’ - the amount Bank paid to Borrower for the asset at the outset (or which Bank paid to a third party for the asset where Borrower didn’t previously own it).

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