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Contents

Official guidance
Oil Taxation Manual

OT15800 · PRT: tax-exempt tariffing receipts

  • OT15810 · Outline
  • OT15820 · Definition
  • OT15830 · Definitions of New Field, Existing Field & UK Recommissioned Field
  • OT15840 · Foreign fields
  • OT15850 · Transmedian fields
  • OT15860 · Definition of qualifying existing field
  • OT15870 · Excepted assets - assets wholly situated in an existing field
  • OT15880 · Excepted assets - tankers and tanker loading fields
  • OT15890 · Excepted assets - assets subject to excess capacity election
  • OT15900 · Transitional provision
  • OT15905 · Operation of transitional provision
  • OT15910 · Tax-exempt tariffing receipts - related expenditure
  • OT15920 · Cost allocation the modified approach
  • OT15925 · Cost allocation - application of the modified approach
  • OT15930 · Participators in common and connected party transactions
  • OT15940 · Cost allocation calculation
  1. PRT: tax-exempt tariffing receipts: contents
  2. PRT: tax-exempt tariffing receipts - foreign fields

OT15840 | PRT: tax-exempt tariffing receipts - foreign fields

From HM Revenue & Customs · Oil Taxation Manual

Definitions

The definitions in OTA83\S6A(5) of “foreign field” and “licensee” in relation to a foreign field apply for the purposes of the tax-exempt tariffing receipts rules only. For the meaning of foreign field for the purposes of tariff and disposal receipts see (OT13510).

Foreign field

A foreign field means any hydrocarbon accumulation which is not under the jurisdiction of the UK government.

Licensee in a foreign field

A licensee in relation to a foreign field is any person who has rights, interests or obligations in respect of that foreign field under a licence or other authority granted by the government of a country other than the UK.

Oil won from a foreign field OTA83\S6A(7)

For the purposes of the tax-exempt tariffing receipts rules oil in relation to a foreign field has the same meaning as in OTA75\S1(1) (OT03100).

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