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Official guidance
Corporate Finance Manual

CFM77000 · Other tax rules on corporate debt: transfers of income streams

  • CFM77010 · Overview
  • CFM77020 · The legislation
  • CFM77030 · Company transferors
  • CFM77040 · Company transferors: transfer of underlying asset: rights under agreement for annual payment
  • CFM77050 · Company transferors: transfer of underlying asset: transfer under sale and repurchase agreement
  • CFM77060 · Company transferors: relevant amount
  • CFM77070 · Company transferors: relevant amount: treatment
  • CFM77080 · Company transferors: relevant amount: timing
  • CFM77090 · Company transferors: exclusions
  • CFM77100 · Company transferors: partnership shares
  • CFM77110 · Company transferors: transfers of certain interests in assets regarded as transfers of underlying asset
  • CFM77120 · Company transferors: meaning of ‘transfer’
  • CFM77130 · Company transferors: transfers to or by a partnership of which a company is a member
  • CFM77140 · Non-corporate transferors
  • CFM77150 · Non-corporate transferors: financial traders
  • CFM77160 · Transferees
  1. Other tax rules on corporate debt: transfers of income streams: Contents
  2. Other tax rules on corporate debt: transfers of income streams: company transferors: transfers of certain interests in assets regarded as transfers of underlying asset

CFM77110 | Other tax rules on corporate debt: transfers of income streams: company transferors: transfers of certain interests in assets regarded as transfers of underlying asset

From HM Revenue & Customs · Corporate Finance Manual

Company transferors: transfers of certain interests in assets regarded as transfers of underlying asset

CTA10/S757(1) deals with three classes of income transfer which arguably do not involve a transfer of the asset from which the income arises. It states that these are to be treated as transfers of the assets from which the income stems. This ensures that the provisions of S753 will not apply to these income transfers.

The three types of transaction are

  • The grant or surrender of a lease of land

  • The disposal of an interest in an oil licence, and

  • The grant or disposal of any interest in intellectual property which constitutes a pre-2002 asset within the meaning of CTA09/S881.

Example

Q Ltd is the tenant of property and the freehold is held by R Ltd. R grants a lease of the property to S Ltd, still subject to the sublease with Q Ltd. In this way R Ltd has transferred an income stream - the rentals from the sublease - to S Ltd.

S757(1)(a) puts it beyond doubt that this is treated as a transfer of the asset from which the rental income from the sublease stems, so that the provisions of S753 do not apply.

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