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Contents

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 - investment income previously charged to corporation tax

TSEM5755 | Trusts for particular purposes: flat management companies - investment income previously charged to corporation tax

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

In the past some flat management companies have been permitted to make returns in respect of investment income, arising on service charge funds and sinking funds, as part of their corporation tax returns (see PIM1070) Such treatment is no longer appropriate where trustees are holding funds as trustees under Section 42 LTA 1987. Likewise where Section 42 LTA 1987 does not apply but the terms under which the funds are held creates a trust.

Rents receivable by flat management companies (such as ground rents - other than peppercorn rents) are outside the scope of Section 42 LTA 1987 and remain chargeable as income from property.

Tax Bulletin Issue 37 (October 1998) explained the approach that HM Revenue and Customs has taken for all flat management companies as from 1 April 1998. However, because of the need to issue further guidance in Tax Bulletin Issue 48 (August 2000), no action was usually taken to disturb any year or accounting period for which a corporation tax return had already been made and accepted at that time.

Where a trust return has not previously been made by a flat management company, or a trustee, of investment income arising from a fund within Section 42 LTA 1987 (or from funds otherwise specifically held on trust), the trustees will have the normal obligation to notify chargeability.

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