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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. Effect of changes in membership on partner’s basis periods

PM163120 | Effect of changes in membership on partner’s basis periods

From HM Revenue & Customs · Partnership Manual

Example

The following example shows how changes in the membership of a partnership affect the individual partners basis periods for the purposes of their ‘notional trade’ (trade profits) and their ‘notional business’ (other untaxed income).

Peter Bailey commences trading on 1/7/1998 and produces accounts to 30/6/1999 and then to 30/6 each year until 30/6/2010

  • During the period 1/7/1998 to 30/6/2010 Peter Bailey is a sole-trader

  • Trading income arising in his business is chargeable according to the normal basis period rules

  • All other income arising in the business is chargeable on a tax year (6 April to 5 April) basis, including any such income arising in the period 6/4/2010 to 30/6/2010

On 1/7/2010 Peter Bailey’s two sons, Harry and George, join the business as partners • The formation of the partnership has no effect on Peter Bailey’s notional trade basis periods

  • The notional business of all three partners commences on 1/7/2010

  • The notional trades of Harry and George Bailey commence on 1/7/2010

  • The basis periods for the notional businesses of all three partners are found using trading income basis period rules as if a trade commenced on 1/7/2010. Therefore the basis period for shares of untaxed income in 2010/11 is the 9 months to 5/4/2011 and for 2011/12 is the 12 months to 30/6/2011. The 9 months to 5/4/2011 is a period of overlap

  • The basis periods for the notional trades of Harry and George Bailey are found using the same rules as for their notional trade

On 30/6/2015 Peter Bailey retires, leaving his two sons to carry on the business

  • Peter Bailey’s retirement triggers a cessation (including the rules for overlap relief) in both his notional trade and notional business

  • But the change in the membership of the partnership has no effect on the basis periods used by either Harry or George Bailey

On 30/6/2017 the partnership between Harry and George is dissolved. George continues to carry on the business on his own

  • Harry Bailey’s departure triggers a cessation (including the rules for overlap relief) in both his notional trade and his notional business

  • The dissolution of the partnership has no effect on the notional trade basis periods used by George Bailey

  • But George Bailey’s notional business is deemed to cease on 30/6/2017. From this date any other untaxed income arising in the business is assessed on a tax year (6 April to 5 April) basis

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