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Part 1U.K.Income tax, corporation tax and capital gains tax

Chargeable gainsU.K.

39Payments to farmers under the lump sum exit scheme etcU.K.

(1)An amount paid to a person (“P”) under the lump sum exit scheme is—

(a)in a case where P satisfied the eligibility conditions when the payment was made, to be treated as an amount of capital nature that is treated as a chargeable gain accruing to P on the disposal of an asset for the purposes of TCGA 1992;

(b)in a case where P did not satisfy the eligibility conditions when the payment was made, to be treated as an amount of a revenue nature.

(2)Where—

(a)a person (“P”) makes an application for a lump sum under the lump sum exit scheme,

(b)P satisfies the eligibility conditions at any time during the interim period, and

(c)during the interim period, an amount is paid to P under the basic payment scheme,

the amount is to be treated as an amount of capital nature that is treated as a chargeable gain accruing to P on the disposal of an asset for the purposes of TCGA 1992.

(3)Where—

(a)a person (“P”) makes an application for a lump sum under the lump sum exit scheme,

(b)P does not satisfy the eligibility conditions at any time during the interim period, and

(c)during the interim period, an amount is paid to P under the basic payment scheme,

the amount is to be treated as an amount of a revenue nature.

(4)For the purposes of this section—

(5)This section has effect in relation to amounts whether paid before or after the coming into force of this Act.