- Following record high oil and gas prices over the past year
due to global circumstances, and to help fund more cost-of-living
support for UK families, the government is introducing the Energy
Profits Levy, a new 25% surcharge on the extraordinary profits
the oil and gas sector is making.
- Oil and gas prices have risen substantially, with oil prices
nearly doubling since early last year, and gas prices more than
doubling, resulting in significant increases in profits earned
from UK oil and gas extraction.
- The new Energy Profits Levy will raise around £5 billion over
the next year which will go towards supporting people with the
new cost of living measures announced by the Chancellor.
- The government has also been clear that it wants to see the
oil and gas sector reinvest its profits to support the economy,
jobs, and the UK’s energy security.
- That’s why, within the levy, a new ‘super-deduction’ style
relief is being introduced to encourage firms to invest in oil
and gas extraction in the UK.
- The new 80% Investment Allowance will mean businesses will
overall get a 91p tax saving for every £1 they invest – providing
them with an additional, immediate incentive to invest. This
nearly doubles the tax relief available and means the more
investment a firm makes, the less tax they will pay.
- The levy does not apply to the electricity generation sector.
However, certain parts of it have also seen extraordinary profits
partly due to record gas prices. As set out in the Energy
Security Strategy, the government is consulting with the power
generation sector and investors to drive forward energy market
reforms and ensure that the price paid for electricity is more
reflective of the costs of production. Those reforms will take
time to implement. In the meantime, the government will urgently
evaluate the scale of these extraordinary profits and the
appropriate steps to take.
How will the Energy Profits Levy work?
- Currently, the oil and gas sector pay a 40% headline rate tax
on profits consisting of 30% Ring Fence Corporation Tax and 10%
Supplementary Charge.
- In recent years, under the existing regime, fewer than 35
groups have made tax payments each year. In 2021, the top 7
groups accounted for around 95% of payments.
- The Energy Profits Levy is an additional 25% tax on UK oil
and gas profits on top of the existing 40% headline rate of tax,
taking the combined rate of tax on profits to 65%.
- To appropriately tax the extraordinary profits, companies
will not be able to offset previous losses or decommissioning
expenditure against profits subject to the levy.
- It is expected to raise around £5 billion in its first 12
months.
- The tax will take effect from today, 26 May 2022, and will be
legislated for via a standalone Bill to be introduced shortly.
- In future years, if oil and gas prices return to historically
more normal levels, the Government will phase out the Energy
Profits Levy, and also the legislation will include a sunset
clause, effective at the end of December 2025.
How the new Investment Allowance will work?
- The government has also been clear that it wants to see the
oil and gas sector reinvest their profits to support the economy,
jobs and the UK’s energy security.
- To encourage this, a ‘super-deduction’ style investment
allowance will be introduced within the levy to provide an
immediate incentive for the oil and gas sector to invest in UK
extraction.
- The new investment allowance rate is 80% and means the total
tax relief on investment nearly doubles - for every £1 businesses
invest they will overall get a 91p tax saving.
- The current 10% Supplementary Charge provides companies with
an investment allowance that can only be claimed once income is
received from the field subject to the investment (which can take
several years).
- In contrast, the new 80% Investment Allowance for the Energy
Profits Levy will be available to companies at the point of
investment, making it both more immediate and more generous.
- The government expects the combination of the levy and this
investment allowance to lead to an overall increase in
investment, and the OBR will take account of this policy in their
next forecast.
Overall, the tax relief companies
receive from qualifying expenditure will nearly double, from 46p
for every £1 of extra investment to 91p
The example below shows how this works for an assumed £100 of
capital expenditure.
|
|
Tax rate
|
Relief
|
Relief rate
|
Amount of relief (assuming £100
investment)
|
|
Ring Fence Corporation Tax
|
30%
|
First year capital allowance
|
100%
|
30
|
|
Supplementary Charge
|
10%
|
First year capital allowance
|
100%
|
10
|
|
Investment allowance[1]
|
62.5%
|
6.25
|
|
Total tax relief under current scheme
|
|
|
|
46.25
|
|
|
|
|
|
|
|
Energy Profits Levy
|
25%
|
First year capital allowance
|
100%
|
25
|
|
Investment allowance[2]
|
80%
|
20
|
|
Additional tax relief under new scheme
|
|
|
|
45
|
|
Total tax relief under new scheme
|
|
|
|
91.25
|
Further facts and background
- There is precedent for taxes on exceptional profits. For
example, in 1981, a one-off tax on certain bank deposits was
introduced via a 2.5% levy on deposits of banking businesses, who
were benefiting from high interest rates.
- The permanent 40% headline tax rate for oil and gas producers
is competitive globally against similar operating environments,
and is lower than Norway, the Netherlands and Denmark. The Energy
Profits Levy is an additional tax which reflects the
extraordinary global context.
Existing UK oil and gas tax regime
The UK oil and gas fiscal regime taxes profits earned by
companies from the production of oil and gas on the UK
Continental Shelf. The regime is kept separate to other taxes on
commercial profit by the operation of a “ring fence” which
prevents losses from other activities being imported into the
regime. The current headline rate of tax is 40%, made up of the
following taxes:
- 30% Ring Fence Corporation Tax (RFCT) – this is a tax on
profits from exploration and production in the UK, largely on the
same basis as normal corporation tax rules. This has not changed
since the Supplementary Charge was introduced in 2002.
- 10% Supplementary Charge (SC) – this is an additional charge
of 10% on adjusted ring-fence profits, excluding finance costs.
It has remained unchanged since 2016 (when it was reduced from
20% to 10%). The rate peaked at 32% between 2011 and 2014.
- 0% Petroleum Revenue Tax – a field-based tax charged on
profits arising from fields given development consent before 16
March 1993. It has been zero-rated from 2016 but not abolished to
allow companies to carry back losses arising from trading and
decommissioning.
[1] This can be claimed when
the investment starts generating income.
[2] Unlike the Supplementary
Charge investment allowance, this can always be claimed in the
first year (i.e. in the year of investment expenditure).