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Contents

Official guidance
VAT Partial Exemption Guidance

PE72000 · Guidance for specific trade sectors: Land and property

  • PE72100 · An overview of different land and property businesses
  • PE72200 · Basic principles
  • PE72300 · Practical issues for special methods
  • PE72400 · Methods of apportionment
  • PE72500 · Part-exchange houses: use of inputs
  • PE72600 · Other activities
  • PE72700 · Capital Goods Scheme items
  • PE72800 · Speculative costs/change of intended use/abortive costs
  1. Guidance for specific trade sectors: Land and property: contents
  2. Guidance for specific trade sectors: land and property: basic principles

PE72200 | Guidance for specific trade sectors: land and property: basic principles

From HM Revenue & Customs · VAT Partial Exemption Guidance

The basic principals explained in PE10000 and PE30000 will apply equally to land and property businesses.

Rather than buy or sell a property, it might be that a business buys or sells a company that owns a property. Such property owning companies (often referred to as special purpose vehicles) might be wholly owned subsidiaries, nominee companies and/or trusts. Property developments are increasingly undertaken through joint venture “partnerships”, set up specifically for a particular project in conjunction with others willing to share some of the risk. Accordingly, the method also needs to recognize that input tax incurred on property transaction arrangements might not always be reflected in supplies made by companies within the VAT Group itself.

While the standard method is relatively simple to use it is not sophisticated enough for many Land & Property businesses. It relies on using values which can in some cases fluctuate and it does not adequately take into account some situations in which businesses find themselves. Therefore, most land & property businesses adopt a special method that more closely reflects their activities.

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