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Home / Simons-Taxes /Corporate tax /Part D1 Corporation tax generally /Division D1.6 Intangible fixed assets /Corporate intangible regime—introduction and scope / D1.601 Corporate intangible assets—overview
Commentary

D1.601 Corporate intangible assets—overview

Corporate tax

Reviewed by JOHN LINDSAY BA, FCA, FTII,

Consultant, Linklaters

For updates affecting this Division please see 'Binder 5 updates'

Corporate intangible regime—introduction and scope

D1.601 Corporate intangible assets—overview

This commentary relates to companies, for treatment of intellectual property for individuals see Division B5.3. For the purposes of corporation tax, the tax treatment of intangible assets, including goodwill, acquired or created after 31 March 2002 is governed by the corporate intangible asset regime within CTA 2009, Pt 8. Prior to this date intangible assets were generally treated as chargeable assets within the capital gains regime (see D1.608)

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