BIM55090 - Farming in tax law: contract farming
Contract farming is an arrangement whereby a contractor
carries out operations of husbandry as agent for the landowner.
Even where the contractor carries out all, or substantially all,
the operations of husbandry on a particular farm, the arrangement
should not be confused with share farming (see
BIM55070 onwards). In contract farming
cases the landowner is likely to be the occupier of the land and
therefore farming.
The contractor is not farming and is chargeable under Case I
of Schedule D on his or her profits as a contractor.
