Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Corporate Finance Manual

CFM92500 · Debt cap: particular types of company

  • CFM92510 · Introduction
  • CFM92515 · Definition of dormant company
  • CFM92520 · Exemption for group treasury companies
  • CFM92530 · Group treasury companies: periods of account beginning before11 December 2012
  • CFM92535 · Group treasury companies: periods of account beginning on or after 11 December 2012
  • CFM92540 · Group treasury companies: treasury activities
  • CFM92550 · Real estate investment trusts
  • CFM92560 · Oil extraction activities
  • CFM92565 · Industrial and provident societies
  • CFM92570 · Charities
  • CFM92580 · Educational and public bodies
  1. Debt cap: particular types of company: contents
  2. Debt cap: particular types of company: oil extraction activities

CFM92560 | Debt cap: particular types of company: oil extraction activities

From HM Revenue & Customs · Corporate Finance Manual

This guidance applies to worldwide group periods of account ending before or straddling 1 April 2017.

Ring fence trades

Where a company carries on oil extraction activities, or the acquisition or exploitation of oil rights, these activities are treated by CTA10/S274 and S279 as a separate trade, distinct from any other trade or business carried on by the company. This trade is ring-fenced, and losses from oil extraction activities can only be allowed against profits generated inside the ring-fence.

Where a company carries on such a ring fence trade, and financing expenses or income are brought into account in calculating the profits of that trade, such amounts are excluded by TIOPA10/S318 from being financing expense amounts or financing income amounts of the company for debt cap purposes.

There is a corresponding exclusion when calculating the available amount - see CFM92400.

PreviousNext
PrivacyTerms