OT30106 - Capital Gains
Drilling Expenditure. Intangible Drilling Costs of Production Wells.
The treatment of intangible drilling costs of production wells
is different. Where a licence interest is disposed of, each
production well can be treated as a separate asset for capital
gains purposes. The costs of drilling each well fall within the
scope of TCGA92\s38(1)(a) provided the remaining conditions of the
subsection are met and are thus allowable when computing the
chargeable gain on the disposal of the production well in
connection with the disposal of the licence interest.
This applies where the intangible costs have been the subject
of a MEA claim. Where these costs have previously achieved a
revenue deduction under now superseded New Brunswick principles,
TCGA92\s39(1) will preclude a capital gains deduction.
The wider question of apportionment of proceeds between
licence, plant and machinery generally and production wells may
needs to be considered.
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