SCHEDULES

Valid from 01/01/2007

Section 37

SCHEDULE 4U.K.Taxation of activities of film production company

Films to which this Schedule appliesU.K.

Prospective

1The provisions of this Schedule apply in relation to films that commence principal photography on or after 1st April 2006.

Activities treated as separate tradeU.K.

2U.K.The activities of the film production company in relation to such a film are treated as a trade separate from any other activities of the company (and from any activities in relation to any other film).

When the trade beginsU.K.

3U.K.The film production company is treated as starting to carry on the trade—

(a)when pre-production of the film begins, or

(b)if earlier, when any income from the film is received by the company.

Pre-trading expenditureU.K.

4(1)Where a company incurs expenditure on development of a film and subsequently begins to carry on a trade as the film production company in relation to the film, the expenditure may be treated as expenditure of that trade and as if incurred immediately after the company began to carry it on.U.K.

(2)If expenditure so treated has previously been taken into account for other tax purposes, the company must amend any relevant company tax return accordingly.

(3)Any amendment or assessment necessary to give effect to sub-paragraph (2) may be made notwithstanding any limitation on the time within which an amendment or assessment may normally be made.

Costs of the filmU.K.

5(1)References in this Schedule to the costs of the film are to expenditure incurred by the company on—U.K.

(a)film-making activities in connection with the film, or

(b)activities with a view to exploiting the film.

(2)This is subject to any provision of the Corporation Tax Acts prohibiting the making of a deduction, or restricting the extent to which a deduction is allowed, in calculating the profits of a trade.

(3)Expenditure that (apart from this provision) would be regarded as of a capital nature by reason only of being incurred on the creation of an asset (the film) is treated as being of a revenue nature.

Income from the filmU.K.

6(1)References in this Schedule to income from the film are to any receipts by the company in connection with the making or exploitation of the film.U.K.

(2)This includes—

(a)receipts from the sale of the film or rights in it;

(b)royalties or other payments for use of the film or aspects of it (for example, characters or music);

(c)payments for rights to produce games or other merchandise;

(d)receipts by the company by way of a profit share agreement.

(3)Receipts that (apart from this provision) would be regarded as of a capital nature are treated as being of a revenue nature.

Calculation of profit or lossU.K.

7(1)For the first period of account there shall be brought into account in determining profit or loss—U.K.

(a)as a debit, the costs of the film incurred (and represented in work done) to date, and

(b)as a credit, the proportion of the estimated total income from the film treated as earned at the end of that period.

(2)For any period of account after the first there shall be brought into account in determining profit or loss—

(a)as a debit, the difference between the amount of the costs of the film incurred (and represented in work done) to date and the corresponding amount for the previous period, and

(b)as a credit, the difference between the proportion of the estimated total income from the film treated as earned at the end of that period and the corresponding amount for the previous period.

(3)The proportion of estimated total income treated as earned at the end of any period of account is determined using the formula: