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Official guidance
Business Leasing Manual

BLM80370 · Sale of lessor companies and similar arrangements: Exceptions to qualifying change of ownership: Election out of charge

  • BLM80372 · Sale of lessor companies and similar arrangements: change of ownership: introduction
  • BLM80374 · Sale of lessor companies and similar arrangements: change of ownership: exceptions to qualifying change of ownership: election out of charge: making the election
  • BLM80376 · Sale of lessor companies and similar arrangements: change of ownership: exceptions to qualifying change of ownership: election out of charge: outline of restrictions
  • BLM80378 · Sale of lessor companies and similar arrangements: change of ownership: exceptions to qualifying change of ownership: election out of charge: Restrictions on losses
  • BLM80380 · Sale of lessor companies and similar arrangements: change of ownership: exceptions to qualifying change of ownership: election out of charge: restrictions on losses - Examples
  • BLM80382 · Sale of lessor companies and similar arrangements: change of ownership: exceptions to qualifying change of ownership: election out of charge: restrictions on artificial losses or reduction in profits
  • BLM80384 · Sale of lessor companies and similar arrangements: change of ownership: exceptions to qualifying change of ownership: election out of charge: restrictions on availability of capital allowances
  • BLM80386 · Sale of lessor companies and similar arrangements: election out of charge: transfers into and out of a ring fenced company - transactions before 23 March 2011
  • BLM80388 · Sale of lessor companies and similar arrangements: election out of charge: transfers into and out of a ring fenced company - transactions on or after 23 March 2011
  1. Sale of lessor companies and similar arrangements: Exceptions to qualifying change of ownership: Election out of charge: contents
  2. Sale of lessor companies and similar arrangements: change of ownership: exceptions to qualifying change of ownership: election out of charge: Restrictions on losses

BLM80378 | Sale of lessor companies and similar arrangements: change of ownership: exceptions to qualifying change of ownership: election out of charge: Restrictions on losses

From HM Revenue & Customs · Business Leasing Manual

Section 398D

This guidance applies where the relevant day falls on or after 5 December 2009 and before 23 March 2011.

The legislation prevents the set off of losses against the profits of the ‘relevant activity’. The relevant activity is the leasing business - which may constitute a trade or property business.

The rules cover losses surrendered to the lessor company as well as losses of the lessor company itself.

S398D lists the relevant restrictions:

  • Trade losses

  • Losses of a UK property business

  • Relief for charitable donations

  • Non trading loan relationship deficits

  • Non trading loss on intangible fixed assets

  • Management expenses

Except to the extent that the loss/expense/charge is attributable to carrying on the relevant activity

  • Group relief

Where a loss/deficit is set against the total profits of a company the amount set off cannot reduce that part of the total profit that is attributable to the relevant activity.

  • Where the company is a controlled foreign company and profits attributable to the relevant activity are apportioned to a UK company section 398D prevents any set off of losses against the apportioned amounts.

  • The company is prevented from being within tonnage tax.

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