Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Life Assurance Manual

LAM14000 · Finance Act 2012 Transitional Provisions

  • LAM14010 · Overview and scope of this chapter: FA12/SCH17
  • LAM14020 · Overview of the transitional adjustments: FA12/SCH17
  • LAM14030 · The total transitional difference: deemed receipts or expenses: FA12/SCH17/PART1
  • LAM14040 · BLAGAB consisting wholly of protection business: FA12/SCH17/PART2/PARA21
  • LAM14050 · Disregard of amounts previously taken into account: deferred acquisition costs (DAC) and deferred income reserve (DIR): FA12/SCH17/PART2/PARA22
  • LAM14060 · Intangible fixed assets: FA12/SCH17/PART2/PARA24
  • LAM14070 · Assets held for purposes of long-term business: FA12/SCH17/PARA25-28
  • LAM14080 · Carry forward trade profits, excess management expenses and BLAGAB trade losses: FA12/SCH17/PART2/PARA29 – PARA 24
  • LAM14090 · Assets held other than those of the long-term business: FA12/SCH17/PART2/PARA35
  1. Finance Act 2012 Transitional Provisions
  2. Finance Act 2012 Transitional provisions: Assets held other than those of the long-term business: FA12/SCH17/PART2/PARA35

LAM14090 | Finance Act 2012 Transitional provisions: Assets held other than those of the long-term business: FA12/SCH17/PART2/PARA35

From HM Revenue & Customs · Life Assurance Manual

The term shareholder fund was used in the past to describe assets that historically were held by a life insurance company outside the ring fenced regulatory long-term insurance fund. These assets were returned in Form 13 of the regulatory return as ‘assets other than those of the long-term business’, notwithstanding that those assets were available to back the long-term business.

Under the current prudential regulatory regime and Solvency II, there is no concept of a separate long-term insurance fund. In the regulatory returns all the assets are held to back the long-term business of the company. The concept of a ‘shareholder fund’ of assets not within the long-term insurance fund has no tax relevance.

This part of the transitional provisions deals with how these historical shareholder fund assets are to be treated on transition to the new regime. This is covered in more detail at LAM11050.

Previous
PrivacyTerms