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Contents

Official guidance
Oil Taxation Manual

OT22000 · Interest and Financing - contents

  • OT22001 · Interest and Financing - Introduction
  • OT22002 · Interest and Financing: Transactions across the Ring Fence
  • OT22005 · Interest and Financing: Summary of the Statutory Provisions
  • OT22006 · Interest and Financing: Qualifying Loans
  • OT22009 · Interest and Financing: Replacement and Rescheduled Borrowing
  • OT22012 · Interest and Financing: Excluded Loan Relationship debits and credits
  • OT22013 · Interest and Financing: Charges paid to associates
  • OT22014 · Interest and Financing: Charges which were not allowed against Ring Fence profits
  • OT22020 · Interest and Financing: Sale and leaseback finance charges
  • OT22030 · Interest and Financing: The Debt Cap
  1. Interest and Financing - contents
  2. Interest and Financing: The Debt Cap

OT22030 | Interest and Financing: The Debt Cap

From HM Revenue & Customs · Oil Taxation Manual

The debt cap legislation can be found at Part 7 of TIOPA 2010 and it is effective for accounting periods beginning on or after 1 January 2010.

The legislation provides for the disallowance of certain financing expenses and for the exemption from the charge to Corporation Tax of certain financing income.

Where a company carries on a ring fence trade, and financing expenses or income are brought into account in calculating the profits of that trade, such amounts are excluded from being financing expense amounts or financing income amounts of the company for debt cap purposes (see TIOPA2010\S318 & CFM92560).

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