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Legislation
Corporation Tax Act 2009

Crossheading Treatment of deficit on basic life assurance and general annuity business

  • Section 387 Treatment of deficit on basic life assurance and general annuity business: introduction
  • Section 388 Basic rule: deficit set off against income and gains of deficit period
  • Section 389 Claim to carry back deficit
  • Section 390 Meaning of “available profits”
  • Section 391 Carry forward of surplus deficit to next accounting period
  1. Treatment of deficit on basic life assurance and general annuity business
  2. Meaning of “available profits”

Section 390 | Meaning of “available profits”

From legislation.gov.uk

(1)For the purposes of section 389 the available profits of the company for an accounting period are its BLAGAB non-trading loan relationships profits for the period (see subsection (4)), less the unused part of the relevant deductions for the period (see subsection (5)).

(2)If an accounting period ending within the permitted period begins before it, only a part of the amount which would otherwise be the available profit for that accounting period is available profit.

(3)That part is so much as is proportionate to the part of the accounting period in the permitted period.

(4)References in this section to a company's BLAGAB non-trading loan relationships profits for an accounting period are references to the amount (if any) of the BLAGAB credits in respect of the company's loan relationships that count as income for the purposes of the I - E rules for that period (as determined by section 88(3) and (4) of FA 2012).

(5)The unused part of the relevant deductions for an accounting period is found as follows.Step 1Add together—

(a)the amount for the purposes of section 73 of FA 2012 of the adjusted BLAGAB management expenses of the company for the period, and

(b)so much of the sum of the deductions made in the case of the company in respect of qualifying charitable donations for that period as is referable to BLAGAB.

(a)so much of the amount for the purposes of section 73 of FA 2012 of the adjusted BLAGAB management expenses of the company for the period as, on the assumption that the company had no BLAGAB non-trading loan relationships profits for the period, could be subtracted at step 6 under that section without producing a negative amount, and

(b)the total amounts referable to BLAGAB which could be applied for the period in making deductions in respect of qualifying charitable donations if those profits were disregarded.

Step 2Add together—Step 3Subtract the amount found at Step 2 from the amount found at Step 1.The result is the unused part of the relevant deductions for the accounting period.

(6)In the case of any claim under section 389, references in subsection (5) to the amount for the purposes of section 73 of FA 2012 of the adjusted BLAGAB management expenses of the company for the period are references to that amount as determined on the assumptions in subsections (7) and (8).

(7)The first assumption is that no account is taken of—

(a)that claim, or

(b)any other claim under section 389 relating to a deficit for an accounting period after the deficit period.

(8)The second assumption is that all such adjustments are made as are required as a result of any sum having been carried back under the Corporation Tax Acts to the accounting period mentioned in subsection (5), otherwise than as a result of—

(a)the claim mentioned in subsection (6), or

(b)any such other claim as is mentioned in subsection (7)(b).

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