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Contents

Official guidance
Corporate Intangibles Research and Development Manual

CIRD70000 · Telecommunications licences and rights

  • CIRD70105 · Introduction: how the guidance is organised
  • CIRD70110 · Introduction: outline
  • CIRD70150 · Introduction: the legislation: FA00/S87
  • CIRD70155 · Introduction: the legislation: FA00/SCH23
  • CIRD70305 · Wireless telegraphy licences: background
  • CIRD70320 · Wireless telegraphy licences: auctions
  • CIRD70330 · Wireless telegraphy licences: further information
  • CIRD70340 · IRUs: background
  • CIRD70350 · IRUs: particular points
  • CIRD70355 · IRUs: granting of
  • CIRD70360 · Wireless telegraphy licences and IRUs: derived rights
  • CIRD70400 · How the legislation works: introduction
  • CIRD70405 · How the legislation works: expenditure on acquisitions
  • CIRD70410 · How the legislation works: receipts from disposals
  • CIRD70415 · Revaluations
  • CIRD70420 · Traders and non-traders
  • CIRD70505 · Accounting and groups: 'taken into account'
  • CIRD70510 · Accounting and groups: group accounts
  • CIRD70600 · Accounting and groups: commencement provisions
  • CIRD70605 · Accounting and groups: date of acquisition
  • CIRD70610 · Accounting and groups: acquisition from associates or associated companies
  • CIRD70620 · Accounting and groups: controlled foreign companies
  • CIRD70705 · Transition to intangible regime: transitional provisions (CT only)
  • CIRD70710 · Transition to intangible regime: reinvestment relief (CT only)
  1. Telecommunications licences and rights: contents
  2. Telecommunications licences and rights: how the legislation works: introduction

CIRD70400 | Telecommunications licences and rights: how the legislation works: introduction

From HM Revenue & Customs · Corporate Intangibles Research and Development Manual

Unlike CTA09/PART8 (formerly FA02/SCH29) (Gains and losses of a company from intangible assets - CIRD10000) FA00/SCH23 does not enact a discrete code for the tax treatment of rights to which it applies. It simply deems that certain items should be treated as revenue items and leaves the existing Taxes Acts to do the rest. Consequently, where the only bar to the items being taxed as income or as allowed as deductions in computing income for tax purposes would be that they were capital, the items will be treated as taxable or allowable as revenue.

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