Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Oil Taxation Manual

OT60015 · Transferable Tax History - Elections and TTH Cap

  • OT60020 · Transferable tax history - Transactions that can use the TTH mechanism
  • OT60025 · Transferable tax history - Restrictions on who can enter into transactions which can use the TTH mechanism
  • OT60030 · Transferable tax history - The start date
  • OT60040 · Transferable Tax History: Details of what can be included as TTH
  • OT60050 · Transferable Tax History - TTH elections and directions relating to information and declarations the election must contain
  • OT60055 · Transferable Tax History - Making a TTH election and the time limit
  • OT60070 · Transferable Tax History - Corresponding with HMRC by email
  • OT60075 · Transferable Tax History - TTH Cap
  • OT60080 · Transferable Tax History - Uplifted Decommissioning Costs Estimate
  • OT60085 · Transferable Tax History - Adjustments to the Net Cost Amount
  • OT60090 · Transferable Tax History - Standardised Inflation Adjustment
  • OT60095 · Transferable Tax History - DSA estimate must be reasonable
  1. Transferable Tax History - Elections and TTH Cap: contents
  2. Transferable Tax History - DSA estimate must be reasonable

OT60095 | Transferable Tax History - DSA estimate must be reasonable

From HM Revenue & Customs · Oil Taxation Manual

DSAs are third party agreements. We would therefore expect them to be prepared on a commercial basis and therefore to provide a reasonable estimate of the present day costs of decommissioning, subject to the adjustments described at OT60085.

However, if you believe that the estimates used in the DSA are not reasonable you should seek advice from the Oil and Gas Tax policy and technical team in BAI.

In considering whether the estimates used in the DSA are a reasonable estimate of the costs of decommissioning the asset, you can refer to available regulatory and commercial data from third party sources about the likely costs of decommissioning the asset in question.

Previous
PrivacyTerms