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Contents

Official guidance
Oil Taxation Manual

OT21000 · Corporation tax ring fence

  • OT21001 · Introduction to the Ring Fence
  • OT21002 · Oil Extraction as a Separate Trade
  • OT21003 · Definition of Oil Extraction Activities
  • OT21004 · Definition of Oil Rights
  • OT21005 · Definition of Oil
  • OT21006 · The Practical Scope of the Ring Fence
  • OT21010 · Associated Companies
  • OT21015 · Delivery Outwith the UK
  • OT21017 · Definitions of Ring Fence Income and Ring Fence Profits
  • OT21020 · Separate Notional Ring Fence and Non-Ring Fence Trades
  • OT21021 · The Extension of the Ring Fence Extension Beyond Trading Income
  • OT21023 · Interest Received by Ring Fence Companies
  • OT21025 · Unitisation and Re-determination Interest
  • OT21026 · The valuation of oil
  • OT21033 · Seismic Survey Data
  • OT21035 · Other Income
  • OT21040 · Tariff Receipts and Tax-Exempt Tariffing Receipts
  • OT21045 · Losses and Group Relief
  • OT21070 · Expenses of Management
  • OT21071 · Expenses of Management - Transitional Provisions
  • OT21075 · Deduction of PRT in computing income for CT purposes
  • OT21076 · The treatment of repayments of PRT arising from the carry back of PRT losses
  • OT21077 · The treatment of repayments of PRT
  • OT21078 · The treatment of interest paid on repayments of PRT
  • OT21080 · PRT paid by Foreign Field Participators
  • OT21083 · Sale and Leaseback of assets
  • OT21090 · Currency differences and valuation of oil - Introduction
  • OT21095 · Currency differences and valuation of oil - The basis used for conversion
  • OT21097 · Currency differences and valuation of oil - Possible scenarios
  • OT21100 · The Treatment of ACT
  • OT21105 · Transfer Pricing
  • OT21140 · Advance pricing agreements
  • OT21195 · The supplementary charge
  • OT21240 · First-year allowances for a ring fence trade - contents
  • OT21300 · The Payment of Ring Fence CT and the Supplementary Charge in Three Instalments
  • OT21400 · Field allowance
  • OT21500 · Onshore allowance
  • OT21550 · Investment allowance
  • OT21600 · Hire of relevant assets
  • OT21700 · Energy Profits Levy
  1. Corporation tax ring fence: contents
  2. Corporation Tax Ring Fence: The Payment of Ring Fence CT and the Supplementary Charge in Three Instalments

OT21300 | Corporation Tax Ring Fence: The Payment of Ring Fence CT and the Supplementary Charge in Three Instalments

From HM Revenue & Customs · Oil Taxation Manual

Special rules for the payment of ring fence corporation tax and supplementary charge came into force on 13 April 2005. Under these rules, companies that would otherwise pay tax under the general system for quarterly instalments must pay their RFCT and SC under a modified system for three equal instalments. The guidance on the quarterly instalment regime is at CTM92505 onwards. This change does not affect the timing of the payments of non-ring fence CT. These remain in the quarterly instalment regime, even if payable by a company that also has a liability to ring fence corporation tax and/or supplementary charge.

Under the new rules, a company with a normal 12 month accounting period pays its ring fence corporation tax and supplementary charge in equal instalments as follows:

  • 1st instalment - 6 months and 13 days from the start of the accounting period

  • 2nd instalment - 3 months from the first instalment due date

  • 3rd instalment - 14 days from the end of the accounting period

This compares with the existing rules for quarterly instalment payments (which continue to apply to a company’s non-ring fence CT), under which a company with a normal 12 month accounting period pays its corporation tax in equal instalments as follows:

  • 1st instalment - 6 months and 13 days from the start of the accounting period

  • 2nd instalment - 3 months from the first instalment due date

  • 3rd instalment - 3 months from the second instalment date

  • 4th instalment - 3 months and 14 days from the end of the accounting period

The rules that apply if the company’s accounting period is less than one year are also based on those in the quarterly instalment regime. For accounting periods of less than one year, the final payment of ring fence corporation tax and supplementary charge is 14 days after the end of the accounting period. Earlier instalments will be due if the dates for those instalments fall earlier than the date for the final instalment. The amount due on any instalment date that is not the final payment is found using the formula 4 x RFA/n, where

  • RFA is the amount of ring fence corporation tax and supplementary charge for the period (the “ring fence amount”) and

  • n is the number of whole months falling within the accounting period plus the number of extra days divided by 30.

The amount due on the final instalment is the balance of the ring fence corporation tax and supplementary charge due for the accounting period less any earlier instalment payments.

Rules for the payment of interest and penalties also follow the rules that currently apply for quarterly instalments.

The rules are contained in The Corporation Tax (Instalment Payments)(Amendment) Regulations 2005 (S.I.2005\889) which amend the main instalment payment regulations in S.I.1998\3175.

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