BLM41025 - Taxation of long funding
leases: long funding operating lessors: extension of term of long
funding operating leases (CAA01/S70YB)
The taxation of a long funding operating lease depends, among
other things, on estimating the market value of the asset at the
end of the lease term. If the term of the lease is extended beyond
the original term the market value will change. In these
circumstances the original lease is brought to an end and new lease
long funding operating lease is treated as commencing (CAA01/S70YB,
see also
BLM22020).
An event extends the term of a lease if
- it has the effect of making a further
period non-cancellable
- it is the grant of an option to the lessee
to continue to lease the plant or machinery for a further period,
where it is reasonably certain at the time the option is granted
that the lessee will exercise it
- it is the exercise by the lessee of an
option to continue to lease the plant or machinery for a further
period
- it does not fall within the preceding
bullets, but it has the effect that the lessee will continue, or is
reasonably certain to continue, to lease the plant or machinery for
a further period.
Where there is an extension, the existing lease is treated as
terminating and a new lease as entered into on the ‘effective
date’.
The ‘effective date’ is the earlier of
- the day after the end of the original
term, and
- if the rentals payable are varied as a
result of or otherwise in connection with the event, the date on
which the variation takes effect.
See
BLM41030 for an example.
These rules do not apply where the accountancy classification
changes to a finance lease. In that case the rules in CAA01/S70YA
apply,
BLM22070.