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Contents

Official guidance
Oil Taxation Manual

OT12000 · PRT: supplement

  • OT12025 · Outline
  • OT12050 · Eligible expenditure: summary
  • OT12075 · Claims to supplement
  • OT12100 · Bringing about the commencement of winning or transporting oil
  • OT12150 · Bringing about the commencement: searching for oil
  • OT12200 · Bringing about the commencement: field development
  • OT12250 · Ascertaining the extent of oil-bearing area
  • OT12300 · Substantially improving the rate at which oil can be won
  • OT12350 · Providing installations for initial treatment or storage
  • OT12400 · Overheads
  • OT12450 · Apportionment of expenditure
  • OT12500 · Expenditure partly to generate tariff receipts
  • OT12550 · Hired assets
  • OT12575 · Contractor financing
  • OT12625 · Disposal receipts: supplement restriction
  • OT12650 · Net profit period
  • OT12700 · Recalculated net profit period
  • OT12725 · Loss following net profit period
  • OT12750 · Interaction with other provisions
  1. PRT: supplement: contents
  2. PRT: supplement - loss following net profit period

OT12725 | PRT: supplement - loss following net profit period

From HM Revenue & Customs · Oil Taxation Manual

FA81\S113

On occasion, a participator might reach its net profit period (NPP) but because of low incomings (e.g. no liftings, shut down to install a pipeline) or heavy expenditure, it may incur losses in subsequent periods.

FA81\S113 provides that where, in any chargeable period ending not later than three years from the end of the net profit period, the participator reverts to a position of cumulative loss, supplement can be allowed on qualifying expenditure which is incurred up to the end of either:

  • the chargeable period in which a cumulative net profit next arises from the field or

  • the last chargeable period in the three years following the end of the original (or recalculated, see OT12700) NPP

whichever is earlier.

The cumulative loss for the purpose of FA81\S113 is arrived at by comparing total allowable losses with total assessable profits (before losses and oil allowance). There is no provision comparable to FA81\S111(4) enabling any recalculation to be made on account of expenditure incurred after the end of the NPP but not yet allowed.

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