Finance Leasing Manual - FLM28.08
Income-into-capital schemes; capital allowances
Many income-into-capital schemes involve buildings with a
capital allowances content - usually machinery and plant allowances
but in some cases 100% initial allowance due in certain enterprise
zone cases. Since the allowances are given on the cost of the
qualifying asset (ie some proportion of the 'loan' made at the
outset), the capital sum paid by the Borrower ought, in principle,
to have generated capital allowances recoveries when the option was
exercised. However, in many schemes the recoveries were avoided by
selling an asset which was economically identical but technically
different.
For example, suppose the Bank acquired the freehold at the
outset for £10 million. The option price of £26 million
might then relate to a 999 lease at a nominal rent out of the
freehold. This is, to all intents and purposes, worth the same as
the freehold but it does not involve the disposal of the freehold
interest to which the capital allowances attach.
After the option had been exercised the Bank's freehold
interest is worthless: it commands no income for nearly a 1,000
years. So there would often be arrangements for the freehold to be
sold to the Borrower for a nominal sum a little while later. The
Borrower then has its original interest in the property back.
