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Contents

Official guidance
Oil Taxation Manual

OT30295 · Capital gains: valuation of oil assets including shares

  • OT30300 · Introduction
  • OT30301 · Post transaction valuations
  • OT30302 · Other clearances
  • OT30305 · General principles of valuation
  • OT30320 · The discounted cash flow methodology of valuing fields - the process
  • OT30322 · The discounted cash flow methodology of valuing fields - inputs
  • OT30324 · The discounted cash flow methodology of valuing fields - input assumptions
  • OT30326 · The discount rate and risking
  • OT30328 · The discount rate and risking - additional factors
  • OT30330 · The discount rate and risking - other methods of risking
  • OT30350 · Methodology of valuing prospects
  • OT30360 · Methodology of valuing exploration acreage
  • OT30370 · Unquoted shares
  • OT30380 · Rebasing to 31 March 1982
  • OT30382 · Cash flow assumptions for rebasing to 31 March 1982
  • OT30384 · Rebasing to 31 March 1982 for unexplored areas
  • OT30386 · Rebasing to 31 March 1982 for prospects
  • OT30390 · Third party information and information sources
  1. Capital gains: valuation of oil assets including shares: contents
  2. Capital gains: valuation of oil assets including shares: introduction

OT30300 | Capital gains: valuation of oil assets including shares: introduction

From HM Revenue & Customs · Oil Taxation Manual

The following pages provide some general guidance on the issue of valuing oil assets including shares.

Primary responsibility for the valuation of oil licences and related assets rests with LB Oil & Gas. The valuation of unquoted shares and securities in companies deriving their value from oil related assets is the responsibility of the Shares and Assets Valuation (SAV) team of Business, Assets and International.

The SAV team may request that LB Oil & Gas negotiate the value of the underlying assets as a preliminary to the valuation of the shares.

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