Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Business Leasing Manual

BLM72000 · ’Income-into-capital’ schemes and back loaded leases: Relief for set-offs against rentals

  • BLM72001 · Avoidance of double taxation - rental excesses
  • BLM72005 · Avoidance of double taxation - function of the rental excess reliefs
  • BLM72010 · Features of rental excess reliefs
  • BLM72011 · Cumulative accountancy rental excess
  • BLM72070 · CGT disposal not of asset outright
  • BLM72075 · Part disposal of asset
  • BLM72080 · Disposal of asset 'representing' leased asset
  • BLM72085 · Part disposal of asset 'representing' leased asset
  • BLM72090 · Series of disposals
  • BLM72095 · Simultaneous disposals
  • BLM72100 · Interaction with general CGT rules
  • BLM72105 · ’Income-into-capital’ and back loaded leases: Relief for set-offs against rentals: rental excesses - approach in practice
  • BLM72106 · Cumulative normal rental excess
  1. ’Income-into-capital’ schemes and back loaded leases: Relief for set-offs against rentals: contents
  2. ’Income-into-capital’ schemes and back loaded leases: Relief for set-offs against rentals: features of rental excess reliefs

BLM72010 | ’Income-into-capital’ schemes and back loaded leases: Relief for set-offs against rentals: features of rental excess reliefs

From HM Revenue & Customs · Business Leasing Manual

The following features are common to the two types of rental excess reliefs (‘cumulative accountancy rental excess’ and ‘cumulative normal rental excess’):

  • the reliefs apply in precisely the same way to leases within both Chapter 2 and Chapter 3 of Part 21 of CTA 2010;

  • both apply on a lease by lease basis (but see BLM72105 for the approach in practice to small leases);

  • in neither case is any regard paid to the position for periods ending prior 26 November 1996 (when a new period of account is deemed to begin for the purposes of the schedule);

  • neither is dependent on a claim - the reliefs are mandatory;

  • on the assignment of the lessor’s interest in the leased asset in circumstances treated as no gain/no loss for capital gains purposes, the assignee inherits both types of unused relief (see BLM72130).

PreviousNext
PrivacyTerms