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Contents

Official guidance
Oil Taxation Manual

OT21400 · Corporation tax ring fence: field allowance

  • OT21401 · Field allowance: the background and underlying policy
  • OT21405 · Field allowance: what is the field allowance?
  • OT21407 · Field allowance: previously decommissioned fields
  • OT21410 · Field allowance: definition of a qualifying field
  • OT21415 · Field allowance: the total amount of field allowance available, new oil fields
  • OT21418 · Field allowance: the total amount of field allowance available, additionally developed oil fields
  • OT21420 · Field allowance: overview of the amount available
  • OT21425 · Field allowance: the unactivated amount of a field allowance
  • OT21430 · Field allowance: amount of field allowance for an accounting period where equity share is unchanged
  • OT21435 · Field allowance: amount of field allowance for an accounting period where equity share changes
  • OT21440 · Field allowance: transfer of field allowance where the equity share changes
  • OT21445 · Field allowance: application of field allowance after changes to adjusted ring fence profits
  • OT21450 · Field allowance: changes to the legislation may be made by regulation
  • OT21455 · Field allowance: authorisation of development
  1. Corporation tax ring fence: field allowance: contents
  2. Field allowance: the background and underlying policy

OT21401 | Field allowance: the background and underlying policy

From HM Revenue & Customs · Oil Taxation Manual

[Field Allowance was superseded by Investment Allowance which was introduced by Fiance Act 2015 and applies to expenditure incurred on or after 1 April 2015. See OT21550 for guidance on Investment Allowance.]

The policy aim of the field allowance when introduced in 2009 was to provide an incentive for the development of new economic but commercially marginal oil and gas fields.

FA 2012 amended the Field Allowance legislation to permit the Government to introduce allowances targeted at commercially marginal projects in existing fields by way of secondary legislation. An eligible oil field is now defined as ‘an oil field which is an additionally-developed oil field or a new oil field’.

These amendments made by FA 2012 came into force on 17 July 2012 and comprised

  • changes to CTA2010\S349 (orders)

  • the insertion of the section providing the definition of An additionally-developed oil field (CTA2010\S349A), and

  • the definition of an eligible oil field.

The other amendments to the field allowance legislation made by FA2012 came into force on 1 April 2013 by virtue of an order made by the Treasury (SI2013 No.744).

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