Finance Leasing Manual - FLM28.28
Income-into-capital schemes: lessee's group
In an income-into-capital scheme the rental schedule for a
twenty year lease, which rises sharply after Year 10, will be
constructed so that the Borrower secures deductions which, in net
present value terms, give full relief for the rentals payable. And
this is after taking into account the fact that the Borrower group
member which becomes the landlord in Year 10 (when the purchase
option is exercised) will be taxed from then onwards on the rentals
it gets from the lessee (its fellow subsidiary). The early upfront
deductions for the lessee are worth enough in net present value
terms to give the desired tax relief.
Because the option payment to buy out the lessor's interest
is capital, the borrowing group, viewed as a whole, foregoes the
tax deduction it would have obtained if the finance lessor had been
repaid wholly by means of rentals. But the borrowing group can set
against this loss of tax relief:
- that part of the lessor's tax advantage passed on by way of a reduced implicit interest charge in the lease plus option arrangement; and
- any timing advantages obtained by virtue of the fact that tax relief in the early years of the lease exceeds rentals paid.
