Property businessesU.K.
248 Ordinary [UK] [property] businessesU.K.
If the qualifying activity of a person who is entitled or liable to an allowance or charge for a chargeable period is an ordinary [UK] [property] business, the allowance or charge is to be given effect in calculating the profits of that business, by treating—
(a)the allowance as an expense of that business, and
(b)the charge as a receipt of that business.
249 [UK furnished] holiday lettings businessesU.K.
(1)If the qualifying activity of a person who is entitled or liable to an allowance or charge for a chargeable period is a [UK furnished] holiday lettings business, the allowance or charge is to be given effect in calculating the profits of that business, by treating—
(a)the allowance as an expense of that business, and
(b)the charge as a receipt of that business.
(2)[Section 65 of CTA 2010] (letting of furnished holiday accommodation treated as trade for purposes of loss relief rules, etc.) applies to profits calculated in accordance with subsection (1).
250 [Ordinary overseas] property businessesU.K.
If the qualifying activity of a person who is entitled or liable to an allowance or charge for a chargeable period is an [ordinary overseas] property business, the allowance or charge is to be given effect in calculating the profits of that business, by treating—
(a)the allowance as an expense of that business, and
(b)the charge as a receipt of that business.
[250A EEA furnished holiday lettings businessesU.K.
(1)If the qualifying activity of a person who is entitled or liable to an allowance or charge for a chargeable period is an EEA furnished holiday lettings business, the allowance or charge is to be given effect in calculating the profits of that business by treating—
(a)the allowance as an expense of that business, and
(b)the charge as a receipt of that business.
(2)Section 67A of CTA 2010 (letting of EEA furnished holiday accommodation treated as trade for purposes of loss relief rules, etc) applies to profits calculated in accordance with subsection (1).]