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Official guidance
Trusts, Settlements and Estates Manual

TSEM5700 · Trusts for particular purposes: flat management companies: contents

  • TSEM5705 · Trusts for particular purposes: flat management companies - service charge funds and sinking funds: background
  • TSEM5710 · Trusts for particular purposes: flat management companies - S42 Landlord and Tenant Act 1987
  • TSEM5712 · Trusts for particular purposes: flat management companies - deduction of tax from interest received
  • TSEM5715 · Trusts for particular purposes: flat management companies - scope of S42 Landlord and Tenant Act 1987
  • TSEM5720 · Trusts for particular purposes: flat management companies - funds created
  • TSEM5725 · Trusts for particular purposes: flat management companies - tenants of rented property
  • TSEM5730 · Trusts for particular purposes: flat management companies - leaseholder owners of property
  • TSEM5735 · Trusts for particular purposes: flat management companies - freehold owners of property
  • TSEM5740 · Trusts for particular purposes: flat management companies - registered social landlords and other ‘exempt landlords’
  • TSEM5745 · Trusts for particular purposes: flat management companies - 'exempt landlords' - S58 LTA 1987
  • TSEM5750 · Trusts for particular purposes: flat management companies - funds not within S42 LTA 1987
  • TSEM5752 · Trusts for particular purposes: flat management companies not within S42 LTA 1987 - definition of ‘relevant housing body’
  • TSEM5755 · Trusts for particular purposes: flat management companies - investment income previously charged to corporation tax
  • TSEM5760 · Trusts for particular purposes: flat management companies - notification from company's tax office
  • TSEM5765 · Trusts for particular purposes: flat management companies - notification from trustee and liaison with company's tax office
  1. Trusts for particular purposes: flat management companies: contents
  2. Trusts for particular purposes: flat management companies - leaseholder owners of property

TSEM5730 | Trusts for particular purposes: flat management companies - leaseholder owners of property

From HM Revenue & Customs · Trusts, Settlements and Estates Manual

Under the terms of the lease the leaseholder may have to pay into a service charge fund or sinking fund. The funds may be paid to an individual, a company, a trust or an unincorporated association. As the owner owns the property under a lease, the LTA 1987 will apply. If the lease specifies contributions are to be made to a service charge fund or sinking fund then an accumulation trust exists whether the funds are paid to an individual, a company, a trust or an unincorporated association.

The body holding the funds may not consider themselves to be trustees, for example a company. However if Section 42 LTA 1987 applies then the company will be holding the funds as a trustee.

If the lease stipulates that tenants must pay a service charge for particular services to a service company which is not the landlord, connected with the landlord or stipulated by the landlord, this too is within Section 42 LTA 1987. In that Section ‘the payee’ is defined as ‘the landlord or other person to whom any such charges are payable by those tenants under the terms of their leases’.

If the lease states that the tenants should arrange for services, repairs and maintenance etc. themselves but does not specify how this should be done, any arrangement made by the tenants with a service company is outside the scope of Section 42 LTA 1987. The costs in respect of service charges are not made either to the landlord or to another person to whom such charges are payable under the terms of the lease.

Finally where there is no provision in the lease for the tenants to pay into a service charge fund, but nevertheless they decide to create one, then such an arrangement is not within Section 42 LTA 1987 as the tenants are not ‘required under the terms of their leases to contribute to the same costs by the payment of service charges’.

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