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Contents

Official guidance
Partnership Manual

PM162000 · Computation and assessment

  • PM163010 · Profits and losses computed at partnership level
  • PM163015 · Template when a partnership receives 5 or more separate income sources from other partnerships
  • PM163020 · Changes of partners
  • PM163025 · Trade losses - restriction of relief
  • PM163030 · Individual, company and non-resident members
  • PM163040 · Allocation of profits and losses
  • PM163050 · An allocation must not create or increase a loss
  • PM163060 · Allocation examples of profits and losses
  • PM163070 · Steps to calculate the partnership trading profits
  • PM163080 · Partner's notional trade
  • PM163090 · Commencement and cessation
  • PM163100 · Basis period rules
  • PM163110 · Change of partnership accounting date
  • PM163120 · Effect of changes in membership on partner’s basis periods
  • PM163130 · Investment business: partner's basis period
  • PM163140 · Examples of partnership computations
  • PM163150 · Examples of partnership computations with indirect partners
  • PM163155 · Notional trade and basis periods
  • PM163160 · Notional trade and basis periods - sole trader and partnership changes
  • PM163170 · Partnership mergers and demergers
  • PM163180 · Accounting date changes
  • PM163190 · Trading profits: overlap
  • PM163195 · Averaging
  • PM163260 · Partnership expenses
  • PM163460 · Other income
  1. Computation and assessment: contents
  2. Trade losses - restriction of relief

PM163025 | Trade losses - restriction of relief

From HM Revenue & Customs · Partnership Manual

Where there is a change in the membership of a partnership carrying on a trade, that trade is treated as continuing so long as there was at least one person who was engaged in the trade both before and after the change. Each partner in a partnership carries on a notional trade. The basis period rules apply to each partner’s notional trade, see PM163090 - PM163110..

It follows that if, during the basis period for the tax year, there is a change in the way the trade is carried on and the loss qualifies for relief under the provisions of S66(5) Income Tax Act 2007 (see BIM85715), the continuing partners are entitled to claim relief for their shares of the losses of the firm as previously constituted as well as of the new firm. This applies even when the change in the membership of the partnership occurs before the change in the manner of trading. Outgoing partners are denied any relief for losses for that year unless the change in the manner of trading took place before they ceased to be partners.

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