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Contents

Official guidance
Oil Taxation Manual

OT26105 · Capital allowances: ring fence expenditure supplement

  • OT26106 · Introduction
  • OT26108 · Conditions for relief - outline
  • OT26110 · Relevant percentage for calculating the supplement
  • OT26115 · Accounting periods
  • OT26120 · Limit on number of accounting periods for which supplement may be claimed
  • OT26125 · Unrelieved group ring fence profits
  • OT26130 · Pre-commencement supplement
  • OT26135 · Qualifying pre-commencement expenditure
  • OT26140 · The mixed pool of qualifying pre-commencement expenditure and supplement
  • OT26145 · Pre-commencement mixed pool - reduction in respect of disposal proceeds under the capital allowance act
  • OT26150 · Pre-commencement pool - reduction in respect of unrelieved group ring fence profits
  • OT26155 · Supplement in respect of a post-commencement period
  • OT26160 · Ring fence losses and qualifying and non-qualifying E&A losses
  • OT26165 · Ring fence loss - the special rule for straddling periods
  • OT26170 · Ring fence losses - post-commencement pools of losses
  • OT26175 · The reference amount for a post-commencement period
  • OT26180 · Post-commencement pools - reductions in respect of utilised ring fence losses
  • OT26185 · Post-commencement pools - reductions in respect of unrelieved group ring fence profits
  • OT26190 · Calculating the supplement due
  1. Capital allowances: ring fence expenditure supplement: contents
  2. Capital allowances: ring fence expenditure supplement: unrelieved group ring fence profits

OT26125 | Capital allowances: ring fence expenditure supplement: unrelieved group ring fence profits

From HM Revenue & Customs · Oil Taxation Manual

CTA2010\S313

The amount on which RFES (pre- and post-commencement) can be claimed for an accounting period is reduced if there are taxable ring fence profits arising in a company within the same group for a corresponding accounting period. ‘Group’ has the same meaning as given by CTA2010\S152.

Taxable ring fence profits are defined in CTA2010\S314. They are an amount of ring fence profits chargeable to corporation tax in an accounting period, net of any group relief claimed under the group relief rules.

The group company’s accounting period is a corresponding accounting period if it coincides with, overlaps or falls wholly within the qualifying company’s accounting period. If it overlaps, the profits are apportioned in accordance with CTA2010\S1172.

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