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[F1PART 8AU.K.Profits arising from the exploitation of patents etc

Textual Amendments

F1Pt. 8A inserted (with effect in accordance with Sch. 2 paras. 7, 8 of the amending Act) by Finance Act 2012 (c. 14), Sch. 2 para. 1(1)

CHAPTER 3U.K.Relevant IP profits [F2: cases mentioned in section 357A(7): no income from new IP]

Textual Amendments

F2Words in Pt. 8A Ch. 3 heading inserted (15.9.2016) by Finance Act 2016 (c. 24), Sch. 9 para. 3

Calculating profits of tradeU.K.

[F3357CHAShortfall in qualifying expenditureU.K.

(1)There is a shortfall in qualifying expenditure in relation to the separate programme trade of a television production company or (as the case may be) the separate video game trade of a video games development company for a relevant accounting period if the actual qualifying expenditure of the trade for the accounting period (as adjusted under subsections (8) to (11)) is less than 75% of the average amount of qualifying expenditure.

(2)The amount that is to be added to the actual qualifying expenditure for the purposes of section 357CG(5A) is an amount equal to the difference between—

(a)75% of the average amount of qualifying expenditure, and

(b)the actual qualifying expenditure, as adjusted under subsections (8) to (11).

(3)In this section—

(a)the “actual qualifying expenditure” of a trade of a company for an accounting period is the amount of qualifying expenditure that (ignoring section 357CG(5A)) is brought into account in calculating the profits of the trade for the accounting period, and

(b)the following terms have the meaning given by section 357CG(6)—

(4)The average amount of qualifying expenditure is—

where—

E is the amount of qualifying expenditure that—

(a)

has been incurred by the company during the relevant period, and

(b)

has been brought into account in calculating the profits of the trade for any accounting period ending before the first relevant accounting period, and

N is the number of days in the relevant period.

(5)The relevant period is the shorter of—

(a)the period of 4 years ending immediately before the first relevant accounting period, and

(b)the period beginning with the day on which the company begins to carry on the trade and ending immediately before the first relevant accounting period.

(6)For a relevant accounting period of less than 12 months, the average amount of qualifying expenditure is proportionately reduced.

(7)Subsections (8) to (11) apply for the purposes of determining—

(a)whether there is a shortfall in qualifying expenditure for a relevant accounting period, and

(b)if there is such a shortfall, the amount to be added by virtue of subsection (2).

(8)If the amount of the actual qualifying expenditure for a relevant accounting period is greater than the average amount of qualifying expenditure, the difference between the two amounts is to be added to the actual qualifying expenditure for the next relevant accounting period.

(9)If—

(a)there is not a shortfall in qualifying expenditure for a relevant accounting period, but

(b)in the absence of any additional amount, there would be a shortfall in qualifying expenditure for that accounting period,

the remaining portion of the additional amount is to be added to the actual qualifying expenditure for the next relevant accounting period.

(10)For the purposes of this section—

(11)If—

(a)there is not a shortfall in qualifying expenditure for a relevant accounting period, and

(b)there would not be a shortfall in qualifying expenditure for that accounting period in the absence of any additional amount,

the additional amount is to be added to the actual qualifying expenditure for the next relevant accounting period (in addition to any additional amount so added by virtue of subsection (8)).]]

Textual Amendments

F3S. 357CHA inserted (with effect in accordance with Sch. 18 para. 23 of the amending Act) by Finance Act 2013 (c. 29), Sch. 18 paras. 19, 22; S.I. 2013/1817, art. 2(2); S.I. 2014/1962, art. 2(3)