Trading

Are you trading?

Trading income is taxed for both income tax and corporation tax purposes. In order for a tax charge to arise under the trading income rules, there must be a trade. It is therefore necessary to understand what constitutes trading, and when a trade commenced or ceased.

 

Indicators of trade

To determine whether a trade exists, historically the courts have looked for the presence or absence of certain key defining features. In 1955, the Royal Commission of Profits and Income Tax reviewed existing case law and identified six ‘badges of trade’. The concept has evolved over time, and the following indicators can be used to provide an overall impression as to whether a trade exists.

 

Badge

Interpretation

Profit-seeking motive  

An intention to make a profit supports trading, but by itself is not conclusive.

 

The number of transactions  

Systematic and repeated transactions suggest a ‘trade’.

 

Existence of similar trading transactions or interest  

If there is an existing trade, the similarity of the transaction under consideration may suggest the presence of trading.

 

Change to the assets  

Repairs, modifications or improvements to make the assets more easily saleable or saleable at a greater price may suggest trading.

 

The way in which the sale was carried out  

The sale of an asset in a way which is typical of trading organisations may suggest trading, whereas a sale to raise emergency cash is less likely to indicate trading.

 

The source of finance  

Where money has been borrowed to purchase the asset and the funds can only be repaid by selling the asset, this may suggest trading – money may be borrowed to facilitate the purchase of an asset at a profit.

 

Interval between sale and purchase  

Assets that are the subject of trade will normally be sold quickly; an intention to sell an asset shortly after purchase will support trading, whereas an asset that is held indefinitely is less likely to be the subject of a trade.

 

Method of acquisition  

Assets that are inherited or acquired as a gift are less likely to be the subject of a trade.

 

Overall impression

It is important to note that there is no single ‘badge’ that provides conclusive proof of a trade – rather, it is a question of looking at the characteristics and the extent to which they are present or absent to form an overall impression of whether there is a trade. The weight attached to each ‘badge’ will vary depending on the particular circumstances and the type of business.

Further queries

For any further queries, you can contact us directly on 028 9032 9255 or by email info@arthurboyd.co.uk.

To see the full range of accountancy and insolvency services we offer, please check out our website.

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