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Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014
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Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

Dec 22, 2015

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Page 1: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

Stephen Morris, Partner, Acuity

Essentials of Property Taxation - Acuity Legal and Kilsby Williams18th September 2014

Page 2: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

VAT/TOGC

• VAT and Transfer of a Going Concern – Property Rental Businesses

Page 3: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

VAT/TOGC

• Freehold sale of commercial building less than 3 years old or not completed – standard-rated

• Sale or grant of lease of commercial building 3 years old or more – exempt subject to option to tax

• If Transfer of Going Concern, VAT not charged

Page 4: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

VAT

Property Rental Business•Buyer to be VAT registered if Seller is taxable person and if standard rated supply, Buyer must elect to waive, notify HMRC and not revoke•Rental Business to be in place before and to continue for period after the sale•HMRC Notice 700/9 and HMRC Briefings 30/12 and 27/14

Page 5: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

VAT/TOGC

Some common questions around “Property Rental

Businesses” and whether TOGC is available

Page 6: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

TOGC

• Occupational Tenant is only holding an agreement for lease and has not yet completed a lease

– Dartford Borough Council v Revenue & Customs (2007)– Notice 700/9

Page 7: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

Members of the same VAT Group•Paragraph 4 of Notice 700/9•Transfer to same VAT group member is disregarded for VAT purposes•If seller or purchaser is same VAT group as the tenant, no TOGC•If seller or purchaser is same VAT group as one tenant but there are other tenants, may be TOGC

VAT/TOGC

Page 8: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

VAT/TOGC

Partly let properties

•Paragraph 6.2 of Notice 700/9

Page 9: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

VAT/TOGC

Lease is granted subject to occupational leases rather an interest transferred– Robinson Family v HRMC (2012)– Substance is important– HMRC Briefs 30/12 and 27/14

Page 10: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

VAT/TOGC

Lease surrenders

•Notice 700/9 revised this year – Brief 27/14 effective from 9 July 2014

Page 11: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

Stamp Duty Land Tax (“SDLT”)

Its application in overage agreements, lease variations

and option agreements

Page 12: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

SDLT

Overage agreements

•Estimate unascertained or uncertain consideration and then reconcile – Sections 51 and 80 Finance Act 2003

•If not paid for 6 months, apply to Birmingham Stamp Office for deferment of payment – Section 90 Finance Act 2003.

Page 13: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

SDLT

– Identity of purchaser– Location of land– Nature of the uncertain

payment– Amount of consideration for

which deferment is sought and SDLT that would be paid

– Details of when it will be paid • If application accepted,

additional SDLT payable 30 days from date consideration ascertained or ceases to be contingent

Page 14: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

SDLT

Lease variations – impacts on SDLT•Rent variations•Deemed surrender and re-grants

Page 15: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

SDLT

• Rent variations– Within first five years of term– Review over five years –

abnormal increases before 17 July 2013

Page 16: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

SDLT

Deemed surrenders and re-grants•Term of lease extended •Additional property added to demise•Overlap relief

Page 17: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

SDLT

Option and pre-emption agreements•Acquisition of the right itself and exercise are separate land transactions•Potentially two notifications•Transactions may be seen as linked

Page 18: Stephen Morris, Partner, Acuity Essentials of Property Taxation - Acuity Legal and Kilsby Williams 18th September 2014.

Any Questions ??