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      ACCAF6知識點(diǎn):Partnerships

      考試網(wǎng)  [ 2017年3月7日 ] 【

        1 Introduction

        Although a person may be a partner in a firm, he is still a

        separate taxable person for income tax (and CGT). The person's share of

        partnership profits is assessed to tax as part of his total taxable income for

        a tax year.

        For self-assessment purposes, the firm produces a partnership

        return showing the allocated amounts of income (and gains) for all partners.

        Each partner uses this information to complete his individual annual tax

        return.

        2 Allocations of Trading Profits and Losses

        Between Partners

        Adjusted profits and losses, determined for the period of account

        of the firm as a whole, are allocated between the partners in the

        profit-sharing arrangements of that period of account.

        Profit-sharing arrangements include the partners' salaries,

        interest on contributions to the firm's capital and the profitsharing ratio

        that is used to allocate surplus profits.

        If the profit-sharing arrangement changes during a period of

        account, the profit or loss is time-apportioned between the periods before and

        after the change. The profit or loss before the change is allocated according

        to the old arrangement; the profit or loss after the change according to the

        new arrangement.

        Each partner's share of profit or loss will then be used to

        determine his assessments under the current year basis (CYB) for each tax year.

        3 Admission and Retirement of Partners

        When a partner is admitted to an existing firm (or a sole trader

        takes in his first partner), the incoming partner is assessed using the current

        year opening year rules on his share of the firm's profits. The assessment of

        each of the existing partners is unaffected.

        When a partner leaves an existing firm, the last year basis

        applies to his share of profits only, with relief for his share of accumulated

        overlap profits. Again, the assessment basis for the remaining partners is

        unaffected.

        4 Cessation of the Firm as a Whole

        Where the firm as a whole ceases to be assessed to income tax, the

        last year basis applies to all the partners with relief given for each

        partner's share of accumulated overlap profits.

        5 Trading Loss Relief for a Partner

        Where a partner has a loss for a tax year he can choose to relieve

        his share of the loss in the way that best suits his individual circumstances.

        For an established business, this usually means choosing between

        the more immediate s.64 relief against total income (with or without s.261 TCGA

        1992 relief against gains) and later s.83 carry forward relief against future

        shares of trading profit.

        All partners of a new firm and a new partner of an existing firm

        may claim s.72 relief for attributable shares of a loss of any of the first

        four tax years of assessment.

        Where a partner leaves a firm and has been allocated a loss prior

        to his retirement, he can claim the appropriate form of loss relief, including

        s.89 (terminal loss) relief against his share of trading profits for the final

        and preceding three tax years of his trade.

        If the firm as a whole ceases trading in such circumstances, then

        all partners can make a terminal loss claim.

        6 Capital Allowances

        Assets attracting capital allowances may be owned by the firm

        (e.g. office equipment) or by the partners personally and used for business purposes

        (e.g. motor cars).

        Where these different arrangements exist:

        = capital allowances are calculated on both types of assets for

        the period of account of the firm (i.e. as normal);

        = capital allowances on the firm's assets are deducted as a

        trading expense before allocating profits between the partners (note this

        applies to all assets owned by the partnership, even if subject to private

        use);

        = capital allowances attributable to the business use of privately

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