FPC90100 - FA06/Chapter 3:
Commencement & Transition: Withdrawal of previous reliefs:
General
FA06/S46 & S47
FA06/S46 and FA06/S47 remove, respectively, the previous
corporation and income tax reliefs for film production and
acquisition:
- FA06/S46 and FA06/S47 (1)(a) and (1)(b)(i)
disapply F2A92/S40A, F2A92/S40B, F2A92/S40C , F2A92/S40D and
ITTOIA2005/S134 and ITTOIA2005/S135 – which deem expenditure
on production or acquisition of the original master version of a
film to be revenue, not capital, specify how the expenditure is to
be allocated to periods, and allow British films to elect out of
this treatment – for films which commence principal
photography on or after 1 January 2007
- FA06/S46 and FA06/S47 (1)(b)(ii) further disapply
F2A92/S40A, F2A92/S40B, F2A92/S40C , F2A92/S40D and ITTOIA2005/S134
and ITTOIA2005/S135, for any acquisition expenditure incurred on or
after 1 October 2007;
- FA06/S46(2) and FA06/S47(2) disapply the relief
for preliminary expenditure on film production, in F2A92/S41 and
ITTOIA2005/S137, for expenditure incurred after 19 July 2006;
- FA06/S46 and FA06/S47 (3)(a) and (3)(b)(i)
disapply the relief for expenditure on film production or
acquisition, in F2A92/S42, F2A97/S48 and ITTOIA2005/S138-144, for
films which commence principal photography on or after 1 January
2007; and,
- FA06/S46 and FA06/S47 (3)(b)(ii) disapply the
relief for expenditure on film acquisition, in F2A92/S42, F2A97/S48
and ITTOIA2005/S138-144, for any acquisition expenditure incurred
on or after 1 October 2007.
FA06/S51amends FA02/SCH29, the regime for the taxation of gains
and losses from intangible fixed assets (“the IP
regime”), from which films are currently excluded, so that
the exclusion only applies to production expenditure.