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Contents

Official guidance
Tonnage Tax Manual

TTM10000 · Ship leasing

  • TTM10001 · Outline
  • TTM10010 · Outline: What is a finance lease?
  • TTM10020 · Outline: Which leases are affected?
  • TTM10100 · Defeased leasing: Outline
  • TTM10110 · Defeased leasing
  • TTM10120 · Defeased leasing
  • TTM10130 · Defeased leasing
  • TTM10140 · Defeased leasing
  • TTM10150 · Defeased leasing
  • TTM10160 · Defeased leasing
  • TTM10200 · Sale and lease-back
  • TTM10210 · Sale and lease-back
  • TTM10215 · Long funding leases
  • TTM10300 · Certification of ship leases
  • TTM10400 · Quantitative restrictions on allowances
  • TTM10410 · Quantitative restrictions on allowances
  • TTM10415 · Quantitative restrictions on allowances
  • TTM10420 · Quantitative restrictions on allowances
  • TTM10430 · Quantitative restrictions on allowances
  • TTM10440 · Quantitative restrictions on allowances
  • TTM10450 · Quantitative restrictions on allowances
  • TTM10460 · Quantitative restrictions on allowances
  • TTM10470 · Quantitative restrictions on allowances
  • TTM10480 · Quantitative restrictions on allowances
  • TTM10490 · Quantitative restrictions on allowances
  • TTM10500 · Quantitative restrictions on allowances
  • TTM10510 · Quantitative restrictions on allowances
  • TTM10520 · Quantitative restrictions on allowances
  • TTM10530 · Quantitative restrictions on allowances
  1. Ship leasing: contents
  2. Ship leasing: Outline: Which leases are affected?

TTM10020 | Ship leasing: Outline: Which leases are affected?

From HM Revenue & Customs · Tonnage Tax Manual

Subject to the 'grandfathering' provisions mentioned below, with effect from 19 December 2002 the special provisions in FA00/SCH22/PART10 apply to any lease:

  • of a qualifying ship, see TTM03500,

  • which is provided directly or indirectly to a company within tonnage tax (or to a partnership which includes a tonnage tax company, see TTM13310), and

  • which was entered into after 23 December 1999, see ‘grandfathering provisions’ below.

For example, if a lessor provides a ship to a non-tonnage tax company, which in turn charters it to a tonnage tax company (after 23 December 1999), the provisions of PART10 will apply, because the lessor is indirectly providing a qualifying ship to a tonnage tax company.

Grandfathering provisions

Leases may have been entered into prior to the introduction of the tonnage tax regime, in the expectation that capital allowances would be due in the normal way. Leases entered into before the draft legislation was published have therefore been grandfathered, meaning the special provisions in PART10 do not apply to any finance lease entered into on or before 23 December 1999.

Novation of lease

Where a lease is novated to a fellow group company HMRC will usually accept that it remains the same lease for the purposes of the grandfathering provisions. Novation occurs where one obligation is replaced by agreement with another.

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