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Part 20U.K.Tax avoidance involving leasing plant or machinery

[F1Chapter 3U.K.Consideration for taking over payment obligations as lessee treated as income

Textual Amendments

F1Pt. 20 Ch. 3 inserted (with application in accordance with s. 68(3) of the amending Act) by Finance Act 2016 (c. 24), s. 68(1)

894AConsideration for taking over payment obligations as lessee treated as incomeU.K.

(1)This section applies where under any arrangements—

(a)a company chargeable to corporation tax (C) agrees to take over obligations of another person (D) as lessee under a lease of plant or machinery,

(b)as a result of that agreement C, or a person connected with C, becomes entitled to income deductions (whether deductions in calculating income or from total profits), and

(c)a payment is payable to C, or a person connected with C, by way of consideration for that agreement.

(2)The payment is treated for the purposes of corporation tax as income received by C in the period of account in which C takes over the obligations mentioned in subsection (1)(a).

(3)Subsection (2) does not apply if and to the extent that the payment is (apart from this section)—

(a)charged to tax on C, or a person connected with C, as an amount of income,

(b)brought into account in calculating for tax purposes any income of C or a person connected with C, or

(c)brought into account for the purposes of any provision of CAA 2001 as a disposal receipt, or proceeds from a balancing event or disposal event, of C or a person connected with C.

(4)It does not matter how C takes over the obligations of D (whether by assignment, novation, variation or replacement of the contract, by operation of law or otherwise).

(5)In this section—

(6)Any priority rule (other than section 212(1) of FA 2013 (general anti-abuse rule to have priority over other rules)) has effect subject to this section, despite the terms of the priority rule.

(7)For that purpose “priority rule” is a rule (however expressed) to the effect that particular provisions have effect to the exclusion of, or otherwise in priority to, anything else.

(8)Examples of priority rules are section 464 of CTA 2009 (priority of loan relationships rules) and section 6(1) of TIOPA 2010 (effect to be given to double taxation arrangements despite anything in any enactment).]