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