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Contents

Official guidance
Business Leasing Manual

BLM81000 · Sale of lessor companies and similar arrangements: partnerships

  • BLM81005 · Introduction
  • BLM81010 · Effect of the sale of lessor company legislation
  • BLM81015 · Identifying transactions that are affected
  • BLM81020 · Meaning of ‘qualifying change’ in company’s interest in a business
  • BLM81025 · Identifying a ‘qualifying change’
  • BLM81030 · Identifying a ‘qualifying change’ - more complex arrangements
  • BLM81035 · Identifying a qualifying change in the ownership of a partner company
  • BLM81040 · Meaning of business of leasing plant or machinery
  • BLM81042 · Condition A - identifying ‘relevant transferred plant or machinery’
  • BLM81043 · Leased out plant or machinery - identifying an ‘associate’ and a ‘qualifying associate’
  • BLM81045 · Change in a partner company’s interest in the business - identifying ‘ relevant transferred plant or machinery
  • BLM81050 · Change in ownership of a partner company - identifying ‘ relevant transferred plant or machinery’
  • BLM81054 · Partnerships involving consortia
  • BLM81070 · Quantifying the basic income amount
  • BLM81075 · Quantifying the PM amount
  • BLM81080 · Quantifying the TWDV figure amount
  • BLM81082 · Quantifying the TWDV figure amount - Section 421 CTA2010
  • BLM81085 · Amount of income - change in partner company’s interest in the partnership
  • BLM81090 · Amount of expense - change in partner company’s interest in the partnership
  • BLM81095 · Amount of income - change in ownership of partner company
  • BLM81100 · Amount of expense - change in ownership of partner company
  1. Sale of lessor companies and similar arrangements: partnerships: contents
  2. Sale of lessor companies and similar arrangements: partnerships: amount of expense - change in ownership of partner company

BLM81100 | Sale of lessor companies and similar arrangements: partnerships: amount of expense - change in ownership of partner company

From HM Revenue & Customs · Business Leasing Manual

Section 427 CTA2010

The amount of the expense when there a change in the ownership of a partner company equals the amount of the income.

Section 427 restricts access to losses.

Where the relevant day falls before 21 March 2013 any amount of loss that is derived from the expense is not available to carry back to an earlier accounting period. The amount derived from the expense is identified by treating the expense amount as the final amount deducted.

Where the relevant day falls on or after 21 March 2013 the restriction was extended to prevent any amount of loss carried back from being set against any profits derived from the income amount. The amount derived from the income amount is identified by treating the income amount as the final item added.

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