FPC20130 - Film Production Companies: Taxation: Separate Trade: Television productions
FA06/s31
The film tax regime introduced by FA06 is targeted at
‘film production companies’ (FPCs) (
FPC10110) that are engaged in making
‘films’ (
FPC10100). A company making programmes
for television may well be an FPC and be making films for the
purposes of the regime.
Television programs are often commissioned by broadcast
companies who agree to buy exclusive time-limited transmission
rights within their territory. Following the Communications Act
2003, a UK production company retains the overarching rights to a
programme commissioned by a UK broadcaster and can exploit the
programme outside the boundaries of, or after the expiry of, the
exclusivity agreement.
Programmes may be commissioned and made individually or in
blocks. Generally, television production companies will contract
for, and maintain, detailed management accounts for the series that
will be treated, for the purposes of the tax rules, as a single
film because the series will be contracted for delivery as a
self-contained work (
FPC20130).
Long-running series will normally still be contracted for in
discrete blocks for good commercial reasons and the normal rules
will apply to treat each block as a separate film.
