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Official guidance
VAT Supply and Consideration

VATSC10180 · Supply: Whether supplies are goods or services: Repossessions under hire purchase, conditional sale and Romalpa agreements

  • VATSC10181 · Repossession does not generally create a supply of services
  • VATSC10182 · General Motors Acceptance Corporation (‘GMAC’)
  • VATSC10183 · The VAT (Cars) Order 1992, Article 4(1)(a) of the VAT (Special Provisions) Order 1995, and 2006 changes
  1. Supply: Whether supplies are goods or services: Repossessions under hire purchase, conditional sale and Romalpa agreements: Contents
  2. Supply: Whether supplies are goods or services: Repossessions under hire purchase, conditional sale and Romalpa agreements: Repossession does not generally create a supply of services

VATSC10181 | Supply: Whether supplies are goods or services: Repossessions under hire purchase, conditional sale and Romalpa agreements: Repossession does not generally create a supply of services

From HM Revenue & Customs · VAT Supply and Consideration

When an agreement involving

  • option payments

  • “put and call” options

  • balloon payments, or

  • credit

(see VATSC10170) is terminated prematurely and the goods are repossessed, it might seem that the agreement becomes one of hiring and not purchase. But a later event cannot change the nature of a transaction. Because title is intended to pass eventually, such agreements are for VAT purposes supplies of goods at the outset and this does not change (see VATSC10170). However, the repossession of the goods is not a supply of goods since title has not yet passed. The goods return to their legal owner. This is not a supply of services either, because there is no consideration.

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