BIM55115 - Farming in tax law: all farming by same person treated as one trade
All the farming carried on in the United Kingdom by a particular
person (or partnership, or body of persons) should be treated as a
single trade. (But, where an individual carries on farming
activities both as a sole trader and as a partner, or as a member
of two different partnerships, the separate activities are treated
as separate trades.) The profits of a person who carries on farming
activities, in the same capacity, at more than one farm should be
computed in a single sum.
A person who-
- removes from one farm to another without an interval, or
- gives up a portion of his land, or
- takes over additional land (whether or not he or she succeeds to the trade of his predecessor on that land)
is therefore chargeable on the basis of a continuing trade
notwithstanding the change (see Bispham v Eardiston Farming Co
(1919) Ltd [1962] 40TC322).
Where there is an interval between the discontinuance at one
farm and commencement at another, the farming should be treated as
discontinued and a new trade as having commenced only where the
facts support the conclusion that there was a permanent
discontinuance of the original trade (see
BIM70500 onwards).
