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Official guidance
VAT Taxable Person Manual

VTAXPER50000 · Issues to consider: joint ventures and partnerships: contents

  • VTAXPER51000 · Issues to consider: joint ventures and partnerships: the role of VTAXPER50000
  • VTAXPER52000 · Issues to consider: joint ventures and partnerships: does a partnership exist?
  • VTAXPER53000 · Issues to consider: joint ventures and partnerships: a supply of goods or a supply of services?
  • VTAXPER54000 · Issues to consider: joint ventures and partnerships: joint supplies of goods
  • VTAXPER55000 · Issues to consider: joint ventures and partnerships: joint supplies of services
  1. Issues to consider: joint ventures and partnerships: contents
  2. Issues to consider: joint ventures and partnerships: a supply of goods or a supply of services?

VTAXPER53000 | Issues to consider: joint ventures and partnerships: a supply of goods or a supply of services?

From HM Revenue & Customs · VAT Taxable Person Manual

If a partnership does not exist, you must then decide whether the supply in question is one of goods or of services. This is because there are very few instances where it is possible for goods to be jointly purchased and supplied - exceptions are the purchase of shares in horses, boats, or planes, which are covered in VATSC10140 In the great majority of cases, title to goods will rest with one person - the ‘leading venturer’. The leading venturer will initially purchase the goods, and other venturers will later ‘buy in’ to the purchase. In contrast, it is possible for two or more parties to jointly make a supply of services, if they are truly equal participants in a joint venture.

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