BIM75650 - Farming losses: avoidance
Taxpayers may attempt to avoid the operation of ICTA88/S397 by
ensuring that the farming enterprise periodically makes an isolated
profit. The most obvious year to pick for this purpose would be the
sixth year, and then every sixth year thereafter.
Obviously there is nothing to say that a farm which has been
unprofitable for five years could not make a profit in the sixth
year. Furthermore, it may be possible for a taxpayer to arrange his
or her affairs in a way that leads to the making of a genuine
one-off profit.
But, especially in a case where substantial farming losses
have been relieved against the income of a wealthy taxpayer, it may
be worth checking to ensure that the profit has not been
manufactured by means of artificial transactions or devices. These
may, for example, include:
- charging business expenses (especially interest paid) to the farmer's capital account or not including them in the accounts at all;
- recognising sales and/or expenses in the wrong year;
- manipulating opening or closing stock valuations.
These and similar methods are unacceptable and enquiries should therefore be made, in worthwhile cases, to ensure that the accounts include all the business income and expenses for the period concerned but only the business income and expenses for the period.
