BLM70215 - Schedule 12 FA 1997:
introduction to 'income-into-capital' schemes: part I of the
schedule - 'income-into-capital' schemes
Part I schemes involve variations on the following
arrangements:
- rentals under the finance lease are set
low in the early years of the lease,
- at the end of the desired loan period (say
5 or 10 years) the lessee has an option to buy the asset for a
capital sum - that sum is calculated to be the amount needed to pay
off the balance of the 'loan' with 'interest' after allowing for
the (low) actual rents paid already.
In the commercial accounts the lessor recognises the 'interest'
earned each year up to the option date, even where it has not been
received (or receivable) and even though it may be paid in a
capital form. For tax purposes the 'interest' in the capital sum
may be a capital gain but any actual tax is typically avoided or
reduced because of the availability of indexation and other capital
gains reliefs.