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Gas receipts
Gas receipts













gas receipts gas receipts

PRT was deductible as an expense in computing profits chargeable to RFCT and SC. The rate of PRT was permanently set at zero per cent effective from 1 January 2016 but it has not been abolished so that losses (such as losses arising from decommissioning PRT-liable fields) can be carried back against past PRT payments. Petroleum revenue tax (PRT) is a ‘field-based’ tax charged on the profits arising from individual oil and gas fields that were approved for development before 16 March 1993.It was reduced from 20 per cent on 1 January 2016. The current supplementary charge rate is 10 per cent. The supplementary charge (SC) is an additional charge on a company’s ring-fenced profits (but with no deduction for finance costs).The current rate of tax on ring-fenced profits is 30 per cent. The ring fence prevents taxable profits from oil and gas extraction in the UK and the UKCS being reduced by losses from other activities. ‘Ring fence’ corporation tax (RFCT) is calculated in the same way as onshore corporation tax, but with the addition of a ‘ring fence’ and the availability of 100 per cent first-year allowances for virtually all capital expenditure.In 2022-23 we forecast that oil and gas revenues will raise £7.8 billion. These taxes apply to the profits of companies involved in the production of oil and gas in the UK and on the UK continental shelf (UKCS) (“The North Sea”). UK oil and gas revenues consist of offshore corporation tax (which includes ‘ring fence’ corporation tax and the supplementary charge) and petroleum revenue tax.















Gas receipts