Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Oil Taxation Manual

OT30800 · Capital gains: non residents

  • OT30801 · Introduction and general charge
  • OT30805 · Disposal of oil and oil related assets
  • OT30813 · Illustrative agreements
  • OT30818 · Illustrative agreements and TCGA92\S276
  • OT30820 · Meaning of exploration or exploitation activities
  • OT30823 · Meaning of exploration or exploitation assets
  • OT30825 · Non-dedicated mobile assets
  • OT30830 · Exit charges for branches
  • OT30833 · Branch exit charges for dedicated mobile assets
  • OT30835 · Special exit charges for non-mobile assets held by a UK branch
  • OT30838 · Exit charges for assets situated in UK continental shelf and used in foreign fields
  • OT30840 · Unquoted shares
  • OT30845 · Intra-group transfers
  • OT30850 · Double taxation agreements
  • OT30860 · Administration and payment of tax
  1. Capital gains: non residents: contents
  2. Capital gains: non residents - meaning of exploration or exploitation assets

OT30823 | Capital gains: non residents - meaning of exploration or exploitation assets

From HM Revenue & Customs · Oil Taxation Manual

Exploration and exploitation assets are defined, broadly, as assets used at some time in connection with exploration or exploitation activities carried on in the UK or on the UK continental shelf, where the assets are either:

  • non-mobile (for example, a pipeline, or a fixed production platform), or

  • mobile (for example a floating production platform or offshore drilling rig) and dedicated to an oil field in which the disposer, or a person connected with the disposer, is, or has been, a participator.

It should be emphasised that where a mobile asset is concerned, it must be dedicated to the field at the time of disposal (see OT30833).

The terms ‘mobile’ and ‘dedicated to a field’ have the meaning given to them for PRT purposes (see TCGA92\S276(5) & OTA75\Part 1).

PreviousNext
PrivacyTerms