PIM2332 - Deductions: premiums paid: deemed premium for surrender of a lease
This page is about giving premium relief when the premium
arises as a result of a payment made, under the terms on which the
lease was granted, as consideration for the surrender of the lease.
Situations where a premium arises under ICTA88/S34 (4) or
ITTOIA05/S280 as a result of a payment made, under the terms on
which the lease was granted, as consideration for the surrender of
the lease are dealt with at
PIM1214. In such circumstances, the
period to be taken into account for the purposes of computing
premium relief may include years which have already been settled
and which are not capable of being reopened. Where relief cannot
ordinarily be given because the years concerned are closed, the
papers should be submitted to CT&VAT (Technical).
