BLM34015 - Taxation of leases that
are not long funding leases: leasing of fixtures: termination of
leases
It may be necessary to analyse the 'lump sum' payable by the
lessee to the lessor between an adjustment to past revenue
outgoings (which would itself be revenue) and the balance
consisting of the 'capital sum' dealt with under the capital
allowances code where:
- leased plant or machinery takes the form
of fixtures in a building,
- the circumstances are those set out in
CAA01/S177 (equipment lessors), see CA26200,
- an election is made to ensure that the
lessor obtains capital allowances (even though under general law he
has no title to the asset),
- the user negotiates his release from the
agreement by the payment of a lump sum,
- CAA01/S192 treats the plant or machinery
fixture as ceasing to belong to the lessor and CAA01/S195 treats
the fixture as belonging to the lessee, see CA26700 onwards,
- CAA01/S196 treats any 'capital sum' paid
by the lessee to the lessor as being the price obtained by the
lessor for the sale of the fixture and CAA01/S195 treats the same
'capital sum' as being the expenditure incurred by the lessee on
the provision of the fixture).
How the lump sum should be analysed into its various components
is a question of fact. In practice, however, you should normally
accept that the 'capital sum' attributable to the plant or
machinery fixture is equal to the smaller of the book value of that
asset in the lessee's hands immediately prior to the termination of
the lease or the 'lump sum' paid on the termination, provided
that
- both lessee and lessor agree to adopt the
same basis, and
- the fixture has been depreciated by the
lessee prior to the transaction in accordance with correct
accountancy principles.
Any balance of the lump sum (after deducting the capital element
calculated in this way) is a revenue outgoing deductible in the
period in which the termination takes place to the extent not
reflected in deductions for earlier periods.