BLM30045 - Taxation of leases that
are not long funding leases: tax advantages: examples comparing
commercial profits of the parties, part 2 of 3
In
Example 1 at
BLM30040:
- the bank's commercial profit is the
interest on its loan less its expenses, including the bank's own
interest costs in funding the loan it makes - £20 (£200
less £180); the loan and the loan repayments fall outside the
profit and loss account.
- the borrower's commercial profit is
arrived at after deducting the interest payable and the
depreciation on the kit bought with the loan. At the end of the day
the depreciation will be equal to the cost of the kit less the sale
or scrap value (here the residual value is nil). So the borrower
will show deductions in its commercial accounts of £1,200
(being £200 interest and £1,000 of depreciation).
In
Example 2 at
BLM30040:
- the finance lessor's commercial profit is
measured in the same way as the bank's commercial profit - it is
the 'interest' return less expenses, so the finance lessor's
commercial profit is also £20; the capital repayment elements
in the rentals fall outside the profit and loss account.
- the finance lessee's commercial profit is
arrived at after deducting the 'interest' element in the rentals
and the depreciation on the kit - which is the same as for the
borrower, so the finance lessee's deductions also amount to
£1,200 (being £200 interest and £1,000 of
depreciation).
None of this is surprising. The whole point of GAAP is to deal
with a finance lease in much the same way as a loan transaction,
which is what it is in economic and commercial substance.