Business Tax and Investment Incentives
Corporation Tax
| Financial Year to |
31 March 2010 |
31 March
2009 |
| Taxable profits |
|
|
| First £300,000 |
21% |
21% |
| Next £1,200,000 |
29.75% |
29.75% |
| Over £1,500,000 |
28% |
28% |
| |
|
Trading losses
Trade loss carry back will be extended to a period of three years, with losses
being carried back against later years first. After carry back to the preceding
year, a maximum of £50,000 of unused losses will be available for carry
back to the earlier two years. This will apply to trading losses made by companies
in accounting periods ending between 24 November 2008 and 23 November 2010
and to trading losses made by unincorporated businesses in tax years 2008/09
and 2009/10. The £50,000 limit applies separately to the unused losses
of each 12 month period or tax year.
Capital allowances
A 40% first year allowance will be introduced for expenditure on qualifying
plant and machinery that would normally be allocated to the main capital allowance
pool. This will be available to businesses incurring such expenditure in the
12 month period beginning on 1 April 2009 for corporation tax and on 6 April
2009 for income tax.
Qualifying expenditure incurred on cars on or after 1 or 6 April 2009 will
now be allocated to one of the two general plant and machinery pools. Cars
with CO2 emissions exceeding 160 g/km will be dealt with in the special rate
pool and attract writing down allowances (WDA) at 10%. Cars with CO2 emissions
of 160 g/km or less will be added to the main rate pool and attract WDA at
20%. Expenditure incurred before April 2009 will continue to be subject to
the old 'expensive' car rules for a transitional period of around five years.
Cars that have an element of non-business use will continue to be dealt with
in single asset pools to enable the private use adjustment to be made, but
the rate of WDA will be determined by the car’s CO2 emissions.
Car leases
From April 2009, the rules restricting the amount of car lease rental payments
that can be deducted for tax purposes will be changed to a flat rate disallowance
of 15% of relevant payments. This will apply only in respect of cars with CO2
emissions exceeding 160 g/km. For leases that commenced prior to April 2009,
the previous rules will continue to apply until the end of the lease.
Enterprise Investment Scheme (EIS)
The restrictions on the carry back of income tax relief to the previous tax
year will be removed. This will apply to 2009/10 and subsequent years. With
effect from 22 April 2009, further changes will be introduced to simplify and
improve the EIS rules.
Loan relationships
Where trade debts between connected companies are released after 22 April
2009, the debtor companies will no longer be taxed on the debts released.
For accounting periods beginning on or after 1 April 2009, deductions for
interest payable to certain connected foreign companies will now be available
on a paid basis rather than on the accruals basis.
Foreign profits
Legislation is to be introduced to ensure that dividends and other distributions
received from foreign companies on or after 1 July 2009 will largely be
exempt from corporation tax. UK distributions will be exempt to the same
extent. Finance expense payable by UK members of a group of companies will
be subject to a cap equal to the consolidated gross finance expense of
the group. This will apply to amounts payable in accounting periods beginning
on or after 1 January 2010. With effect from 1 July 2009 there will be
changes to the controlled foreign companies rules and the Treasury Consent
rules will be replaced.
Corporate transparency
For accounting periods beginning on or after Royal Assent the senior accounting
officers of large companies and large groups of companies will have reporting
obligations aimed at ensuring that the accounting systems are adequate for
the purposes of accurate tax reporting.
These obligations will be supported by penalties chargeable on the senior
accounting officer personally and on the company.
Anti-avoidance
A number of measures will be introduced to tackle anti-avoidance. These will
affect:
- Intra-group convertible finance
- Derecognition of income from derivative
contracts
- Plant and machinery leasing
- Foreign exchange matching
- 'Disguised interest’
- Exploitation of qualifying loan interest relief
- Real Estate Investment
Trust (REIT) regime
- Double tax relief where foreign tax is repaid
- Receipts derived from a right
to receive income.
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