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Contents

Official guidance
Oil Taxation Manual

OT13750 · PRT: non-field expenditure

  • OT13760 · Outline
  • OT13775 · Claims
  • OT13790 · Prevention of double allowance
  • OT13810 · Associated company claims
  • OT13825 · Acquisition of interests in producing fields
  • OT13840 · Treatment of long-term assets
  • OT13850 · Receipts, pre 16 March 1983
  • OT13860 · Receipts, post 15 March 1983
  • OT13875 · Bottom hole contributions
  • OT13900 · Receipts: extended production tests
  • OT13910 · Disallowable expenditure
  • OT13925 · Non-arm's length expenditure
  • OT13940 · Designated area
  • OT13950 · Abortive exploration expenditure: basic conditions
  • OT13960 · Non-field expenditure - abortive exploration expenditure: 'Is not, and is unlikely to become allowable for a field'
  • OT13975 · Non-field expenditure - exploration and appraisal expenditure: basic conditions
  • OT13990 · Exploration and appraisal expenditure: expenditure not related to a field
  • OT14000 · Exploration and appraisal expenditure: searching and ascertaining
  • OT14010 · Exploration and appraisal expenditure: licence payments
  • OT14025 · Exploration and appraisal expenditure: onshore expenditure
  • OT14040 · Exploration and appraisal expenditure: transitional provisions: outline
  • OT14050 · Exploration and appraisal expenditure: transitional provisions: committed expenditure
  • OT14060 · Exploration and appraisal expenditure: transitional provisions: supplementary relief
  • OT14080 · Exploration and appraisal expenditure: transitional provisions - interaction of FA93\S188 and S189
  • OT14100 · Research expenditure: outline
  • OT14125 · Research expenditure: basic conditions
  • OT14140 · Research expenditure: associated companies
  1. PRT: non-field expenditure: contents
  2. PRT: non-field expenditure - receipts: extended production tests

OT13900 | PRT: non-field expenditure - receipts: extended production tests

From HM Revenue & Customs · Oil Taxation Manual

OTA75\S5A(5)(c)(i), OTA75\S5A(5A)-(5C)

Following an amendment by FA85\S90, OTA75\S5A(5)(c)(i) states that oil won under ‘extended production tests’ (EPTs) can specifically be treated as ‘qualifying receipts’ as covered at OT13860 where the underlying exploration and appraisal expenditure is incurred on or after 19 March 1985. The provision (together with OTA75\S5A(5A)-(5C) which relate to non-arm’s length disposals and appropriations), ensures that when such oil is won in the course of operations carried out for any of the purposes in OTA75\S5A(2)(a)-(c) (see OT13975), the amounts received will reduce the expenditure giving rise to them.

The receipts should be returned on Form PRT60A and details should be passed to the appropriate PRT Tax Specialist for agreement. Oil or gas won but used in the ordinary course of operations is excluded from the provision.

In 1985 UKOITC asked whether the sum received or treated as received for EPT oil under the 1985 amendments would be net after deducting costs of transportation and initial treatment and, in the case of arm’s length sales, the costs of disposal.

In a letter dated 9 July 1985 LB Oil & Gas replied in the following terms:

”As we see it, there are difficulties in accepting that sums received for the sale of oil, or the market value of oil can be reduced by the costs you mention. On the other hand S5A(2) OTA 1975 itself, detailing the purposes for which expenditure must be incurred to qualify for relief under the section, is capable of being construed to give the same result.

Although such costs would not be allowable under this subsection generally, I am prepared to confirm that where the expenditure related to EPT oil, in circumstances where FA85\S90 requires a restriction to be made to the expenditure allowable under OTA75\S5A by reference to the sale proceeds or market value of that oil, the costs of transportation, initial treatment and, for arm’s length sales, disposals will be accepted as expenditure allowable under OTA75\S5A up to the amount of any related restriction under FA85\S90.”

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