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Contents

Official guidance
Oil Taxation Manual

OT21195 · Corporation tax ring fence: the supplementary charge

  • OT21200 · Introduction
  • OT21202 · Commencement
  • OT21204 · The meaning of “Adjusted Ring Fence Profits”
  • OT21206 · The meaning of “Finance Costs”
  • OT21209 · The meaning of “Finance Lease” and “Accounts”
  • OT21215 · Management Provisions
  • OT21218 · Interaction with Ring Fence losses
  • OT21219 · No supplementary charge losses or adjusted ring fence losses
  • OT21220 · Negative financing costs
  • OT21221 · Ring fence trading profit with negative financing costs
  • OT21222 · Ring fence trading loss with negative finance costs
  • OT21223 · Example 1 - The carry forward of a CT Ring Fence loss and a shadow computation tracking financing costs
  • OT21224 · Example 2 - Group relief of Corporation Tax Ring Fence Loss and a shadow computation tracking financing costs
  • OT21228 · The supplementary charge: restriction of relief for decommissioning expenditure: overview
  • OT21230 · The supplementary charge: restriction of relief for decommissioning expenditure: the amount of restriction
  • OT21231 · The supplementary charge: increase of relief for decommissioning expenditure where it is taken into account for PRT purposes: overview
  • OT21233 · The supplementary charge: increase of relief for decommissioning expenditure where it is taken into account for PRT purposes: the amount of additional deduction
  1. Corporation tax ring fence: the supplementary charge: contents
  2. Corporation Tax Ring Fence: The Supplementary Charge: The meaning of “Finance Lease” and “Accounts”

OT21209 | Corporation Tax Ring Fence: The Supplementary Charge: The meaning of “Finance Lease” and “Accounts”

From HM Revenue & Customs · Oil Taxation Manual

CTA10\S331(6), CTA10\S331(9)

“Finance Lease” CTA10\S331(6)

Finance lease is defined in CTA10\S331(6) by focusing on the way in which the arrangement is, or would be treated in the accounts of the lessee on the assumption that those accounts are prepared in accordance with IAS or UK GAAP.

Where companies are not required to draw their accounts up in accordance with IAS or UK GAAP, the matter is to be resolved by considering how the lease would be treated in hypothetical accounts drawn up under UK GAAP. The definition is widely drawn to cover, where appropriate, the treatment in the accounts of a person connected with the lessee or where the arrangements are part of a larger arrangement.

“Accounts” CTA10\S331(9)

Accounts are defined inCTA10\S331(9) to include consolidated accounts drawn up under the appropriate UK legislation and the hypothetical accounts provided for in the legislation.

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