When SSAP 21 accounting treatment was introduced in 1984 the
Government decided at that time not to follow the same
'substance-over-form' approach for tax purposes. The tax system
continued to regard a finance lease as the hire of an asset and not
as a loan. This remained the case until FA 2006 which introduced
the concept of long funding leases and which follows a substance
over form approach. See the guidance at
BLM20000 onwards for identifying a long
funding lease and
BLM40000 onwards for guidance on taxing
a long funding lease.
However, until FA 2006
The same is true where the lease is an operating lease and tax
advantages can arise from operating leases in much the same way as
they do for finance leases, see
BLM31200.
Basic guidance on the tax treatment of leases that are not
long funding leases is at
BLM00300 onwards. Further guidance on
finance lessees is at
BLM32000 onwards and on finance lessors
is at
BLM33000 onwards.