Blm41020 - taxation of long funding leases: long funding operating lessors: additional capital expenditure - hmrc internal manual

Blm41020 - taxation of long funding leases: long funding operating lessors: additional capital expenditure - hmrc internal manual


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BLM41020 - TAXATION OF LONG FUNDING LEASES: LONG FUNDING OPERATING LESSORS: ADDITIONAL CAPITAL EXPENDITURE If the lessor incurs further capital expenditure on the asset, it will not qualify


for capital allowances. This is because CAA01/S34A applies to this additional expenditure as it does to the original expenditure (by virtue of the existing CAA01/S571) and prevents


expenditure on an asset acquired for the purposes of leasing under a long funding lease from being qualifying expenditure for capital allowances purposes. In this situation CTA10/S366-368


apply to further reduce the lessor’s income for tax purposes, reflecting the fact that further expenditure has been incurred for which no relief would otherwise be available. The effect of


this section is shown in the following example. Example A plant or machinery asset cost £20,000. It is leased out under a long funding operating lease for 15 years at a rent of £1,300 per


year. It is expected to have a value of £5,000 at the end of year 15. The lessor incurs further capital expenditure of £5,000 at the end of year 5 and increases the rental by £600 a year. At


the end of year 5, and following the additional capital expenditure, the expected market value at the end of year 15 is £6,000. CTA10/S363-365 * The starting value = £20,000, * The expected


residual value = £5,000, * The gross expected reduction in value = £15,000, * The annual deduction in each of the 15 years of the lease = £15,000 / 15 = £1,000. CTA10/S366-368 * At the end


of year 5, the expected value at end of year 15 (ARV) = £6,000, * The original expected residual value (CRV) = £5,000, * The sum of any amounts that fell to taken into account as RRV (see


below) in respect of previous additional expenditure (PRV) = 0, * TRV = CRV + PRV = £5,000, * ARV (£6,000) exceeds TRV (£5,000) and so RRV = £1,000, * The expected partial reduction is the


additional expenditure (£5,000) less the RRV (£1,000) = £4,000; * This results in an additional deduction in years 6 to 15 of £400 a year. The end result - assuming no other changes - is


that the lessor obtains deductions of: Years 1-5: 5 x £1,000 = £5,000 Years 6-15: 10 x £1,400 = £14,000 The total cost was £25,000 and a total of £19,000 is relieved. Assuming the asset has


a value of £6,000 at the end of the lease term that is clearly the appropriate result. In practice, as the value is unlikely to be precisely as expected at inception, adjustments are likely


to be necessary when the lease terminates, see BLM41035. FOR ACCOUNTING PERIODS ENDING BEFORE 1 APRIL 2010. For accounting periods ending before 1 April 2010 the relevant legislation was at


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