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Part 9Leasing plant or machinery

Chapter 2Long funding leases of plant or machinery

Lessees under long funding finance leases

377Lessee under long funding finance lease: limit on deductions

(1)This section applies if a company is the lessee of any plant or machinery under a long funding finance lease for the whole or part of any period of account.

(2)In calculating the company’s profits for the period of account for corporation tax purposes, the amount deducted in respect of amounts payable under the lease must not exceed the finance charges.

(3)In subsection (2) “the finance charges” means the amounts which, in accordance with generally accepted accounting practice, fall (or would fall) to be shown in the company’s accounts as finance charges in respect of the lease.

(4)If the lease is one which, in accordance with such practice, falls (or would fall), to be treated as a loan, subsections (2) and (3) apply as if the lease were one which, in accordance with such practice, fell to be treated as a finance lease.

378Lessee under long funding finance lease: termination

(1)This section applies if—

(a)a company is or has been the lessee under a long funding finance lease, and

(b)in connection with the termination of the lease, a payment calculated by reference to the termination value falls to be made to the company.

(2)The payment is not to be brought into account in determining the profits of the company for any period of account for corporation tax purposes.

(3)Subsection (2) does not affect the amount of any disposal value that falls to be brought into account by the company under CAA 2001.

(4)For the meaning of “termination value”, see section 381(3)(m).