Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Life Assurance Manual

LAM03000 · Calculation of 'I' Income and chargeable gains

  • LAM03010 · Income and gains within ‘I’: Overview of tax basis
  • LAM03020 · Calculation of ‘I’ Income and chargeable gains: FA12/S73 Steps 1 and 2: Computing ‘I’- overview and identification of assets: FA12/S74-75
  • LAM03030 · Calculation of ‘I’ Income and chargeable gains: FA12/S73 Step 1: What is included as income: FA12/S74
  • LAM03040 · Calculation of ‘I’ Income and chargeable gains: Main sources of BLAGAB investment return – summarised tax treatment
  • LAM03050 · Calculation of ‘I’ Income and chargeable gains: Other potential sources of income and gains: intra-life company and intragroup transfers, substantial shareholdings exemption (SSE)
  • LAM03060 · Calculation of ‘I’ Income and chargeable gains: Loan relationships, derivative contracts and intangible fixed assets: non trading treatment of credits and deficits: FA12/S74(1): FA12/S88 : CTA09/S388-391
  • LAM03070 · Calculation of ‘I’ Income and chargeable gains: Derivatives not treated as loan relationships CTA09/Part 7: FA12/S74(1)(c)
  • LAM03080 · Calculation of ‘I’ Income and chargeable gains: Land and property - separate property business and losses from property business FA12/S74(1)(a)
  • LAM03090 · Calculation of ‘I’ Income and chargeable gains: Miscellaneous income and losses: FA12/S74(1)(j): FA12/S89
  • LAM03100 · Calculation of ‘I’ Income and chargeable gains: Stock lending and Repos: TCGA92/S263B-C, CTA09/S546
  • LAM03200 · Calculation of ‘I’ Income and chargeable gains: Step 2 FA12/S73: Calculating BLAGAB chargeable gains - an overview: FA12/S75
  • LAM03210 · Calculation of ‘I’ Income and chargeable gains: Box transfers: FA12/S116
  • LAM03220 · Calculation of ‘I’ income and chargeable gains: Life companies as chargeable gains group members
  • LAM03230 · Calculation of ‘I’ Income and chargeable gains: Transactions in shares: share pooling rules: FA12/S119-121
  • LAM03300 · Collective investment schemes - annual deemed disposal: overview: TCGA92/S212
  • LAM03310 · Calculation of ‘I’ income and chargeable gains: Collective investment schemes annual deemed disposal – categories of funds: TCGA92/S212
  • LAM03320 · Calculation of ‘I’ Income and chargeable gains: Collective investment schemes not subject to TCGA92/S212
  • LAM03330 · Calculation of ‘I’ Income and chargeable gains: Spreading of deemed disposal gains: TCGA92/S212
  • LAM03340 · Calculation of ‘I’ Income and chargeable gains: Deemed disposals loss offset and carry back: TCGA92/S213(3)
  • LAM03350 · Calculation of ‘I’ Income and chargeable gains: Deemed disposals: cessation/transfer of business; seeding an authorised contractual scheme (ACS): losses on disposal to connected 'authorised fund manager'
  • LAM03400 · Calculation of ‘I’ Income and chargeable gains: FA12/S73 Step 2: Allowable losses that are not BLAGAB allowable losses: FA12/S95: TCGA92/210A
  • LAM03410 · Calculation of ‘I’ Income and chargeable gains: FA12/S73 Step 2: Calculating the shareholders’ share of BLAGAB chargeable gains TCGA92/S210A(2)
  • LAM03420 · Calculation of ‘I’ Income and chargeable gains: FA12/S73 Step 2: Calculating the shareholders’ share of BLAGAB allowable losses: TGGA92/S210A(6)-(9)
  • LAM03430 · Calculation of ‘I’ Income and chargeable gains: Unrelieved General Annuity Business (GAB) losses
  • LAM03500 · Calculation of ‘I’ Income and chargeable gains: FA12/S73 Step 3: Calculate deemed ‘I-E’ receipts FA12/S92
  • LAM03510 · Calculation of ‘I’ Income and chargeable gains: FA12/S73 Step 3: minimum profits test FA12/S93 and S94 adjustments
  • LAM03520 · Calculation of ‘I’ Income and chargeable gains: FA12/S73 Step 4: CTA09/S388 deduction for non-trading deficits
  • LAM03600 · Calculation of ‘I’ Income and chargeable gains: Chargeable gains from venture capital limited partnerships (VCIPs) TCGA92/SCH7AD: Overview
  • LAM03610 · Calculation of ‘I’ Income and chargeable gains: Chargeable gains from venture capital limited partnerships (VCIPs) TCGA92/SCH7AD: Acquisition cost of the deemed single asset
  • LAM03620 · Calculation of ‘I’ Income and chargeable gains: Chargeable gains from venture capital limited partnerships TCGA92/SCH7AD: Disposals
  • LAM03630 · Calculation of ‘I’ Income and chargeable gains: Chargeable gains from venture capital limited partnerships TCGA92/SCH7AD: Deemed disposals: computational rules for part-disposals
  • LAM03640 · Calculation of ‘I’ Income and chargeable gains: Chargeable gains from venture capital limited partnerships: Scope and conditions of TCGA92/SCH7AD
  • LAM03650 · Calculation of ‘I’ Income and chargeable gains: Chargeable gains from venture capital limited partnerships TCGA92/Sch7AD: Interaction with other legislation
  • LAM03700 · Calculation of ‘I’ Income and chargeable gains: Transactions in shares: share exchanges (where SSE does not apply)
  • LAM03710 · Calculation of ‘I’ Income and chargeable gains: Transactions in shares: Bed and breakfasting: TCGA92/210B
  • LAM03720 · Calculation of ‘I’ Income and chargeable gains: Transactions in shares: substantial shareholdings exemption (SSE) TCGA92/SCH7AC
  • LAM03730 · Calculation of ‘I’ Income and chargeable gains: Substantial shareholdings exemption (SSE): the interaction of the SSE rules and other life tax rules
  • LAM03740 · Calculation of ‘I’ Income and chargeable gains: Substantial shareholdings exemption (SSE) and chargeable gains on loan relationships and derivative contracts
  1. Calculation of 'I' Income and chargeable gains
  2. Calculation of 'I' Income and chargeable gains: Income and gains within ‘I’: Overview of tax basis

LAM03010 | Calculation of 'I' Income and chargeable gains: Income and gains within ‘I’: Overview of tax basis

From HM Revenue & Customs · Life Assurance Manual

The income and chargeable gains of a life company referable to BLAGAB are charged to tax as part of the ‘I-E’ profit in FA12/S68 and are calculated in accordance with steps 1 to 4 in FA12/S73. This chapter explains the tax treatment of the main sources of investment return within a life company as part of that calculation.

Life insurance companies typically have extensive investment portfolios and may have a number of internal fund structures such as with-profits funds all of which can add to the complexity of computing ‘I’. Life insurers may hold equities, bonds, derivatives, property etc. These investments can be held directly or via an investment vehicle such as a unit trust, Open Ended Investment Company (OEIC), partnership or other structure appropriate for holding the relevant assets. Analysis of the portfolio requires a detailed review of the portfolio assets and their respective tax treatment.

The steps to calculate ‘I’ are:

Steps in S73 FA12Guidance and main features
Step 1 - Calculate income referable to BLAGABLAM03030 FA12/S74 definition of income. Principal income sources are generally loan relationships and derivatives taxed as non-trading loan relationships on a mark to market basis and property business profits (property business is taxed as a separate business). Income from equities - dividends mostly exempt.
Step 2 - Calculate/identify net chargeable gains referable to BLAGABLAM03200 FA12/S75 total long-term business chargeable gains as adjusted for allowable losses. Realisation basis for equities, property and other investments which are chargeable assets. Annual deemed disposal rules for collective investment vehicles e.g. authorised unit trusts and OEICs, but excluding bond funds LAM03300. Special rules for transfers within the life company between ‘boxes’ LAM03300 and for transfers to and from a life company within a group LAM03220.
Step 3 - Identify additional ‘deemed’ receipts and any minimum profits chargeLAM03500 FA12/S92 - certain receipts included in the calculation of BLAGAB trade profits but not already included at steps 1 or 2. LAM03510: FA12/S93-94 I-E adjustment for minimum profits test.
Step 4 - Add results of steps 1-3, deduct any non-trading deficit - result is ‘I’LAM03520 CTA09/S388 loan relationship and derivative contracts deficit of the period referable to BLAGAB. Result cannot be negative. After 15 September 2016, the amount of the non-trading deficit that can be deducted is limited to the total of Step 1 plus Step 2 and S92 amount.

The tax basis of BLAGAB income and gains is more aligned with the treatment of investment companies with adaptations and differs significantly from the trading basis for non-BLAGAB income and gains. Contrast mark to market taxation of non-BLAGAB long term business investment gains with BLAGAB chargeable gains taxed on a realisation basis and deemed disposal rules for certain collectives. Dividend taxation in non-BLAGAB is another significant difference.

The differences can also impact, for example, on the tax treatment of movements of assets within life companies (see, for example, ‘box transfers’ LAM03210) and within groups containing a life company.

There are also special provisions for reinsurance of BLAGAB business. These are explained in LAM10100 onwards.

Next
PrivacyTerms