“ 67 Restriction on relief in case of farming or market gardening (1) This section applies if a loss is made in a trade of farming or market gardening in a tax year (“the current tax year”). (2) Trade loss relief against general income is not available for the loss if a loss, calculated without regard to capital allowances, was made in the trade in each of the previous 5 tax years (see section 70). (3) This section does not prevent relief for the loss from being given if— (a) the carrying on of the trade forms part of, and is ancillary to, a larger trading undertaking, (b) the farming or market gardening activities meet the reasonable expectation of profit test (see section 68), or (c) the trade was started, or treated as started, at any time within the 5 tax years before the current tax year (see section 69 below, as well as section 17 of ITTOIA 2005). 68 Reasonable expectation of profit (1) This section explains how the farming or market gardening activities (“the activities”) meet the reasonable expectation of profit test for the purposes of section 67. (2) The test is decided by reference to the expectations of a competent farmer or market gardener (a “competent person”) carrying on the activities. (3) The test is met if— (d) a competent person carrying on the activities in the current tax year would reasonably expect future profits (see subsection (4)), but (e) a competent person carrying on the activities at the beginning of the prior period of loss (see subsection (5)) could not reasonably have expected the activities to become profitable until after the end of the current tax year. (4) In determining whether a competent person carrying on the activities in the current tax year would reasonably expect future profits regard must be had to— (a) the nature of the whole of the activities, and (b) the way in which the whole of the activities were carried on in the current tax year. (5) “The prior period of loss” means— (a) the 5 tax years before the current tax year, or (b) if losses in the trade, calculated without regard to capital allowances, were also made in successive tax years before those 5 tax years (see section 70), the period comprising both the successive tax years and the 5 tax years.”
“Subsections (1) and (2) above shall not restrict relief for any loss or for any capital allowance, if it is shown by the claimant – (a) That the whole of the farming or market gardening activities in the year next following the prior five years are of such a nature, and carried on in such a way, as would have justified a reasonable expectation of the realisation of profits in the future if they had been undertaken by a competent farmer or market gardener, …”
“(b) that, if the farmer or market gardener had undertaken those activities at the beginning of the prior period of loss, he could not reasonably have expected the activities to become profitable until after the end of the year next following the prior period of loss.”
“In our view, bearing in mind our analysis as to the activities which are to be taken into account in applying the test, in order to obtain the relief after the prior period of losses the competent farmer would need to be able to make the following statement in the circumstances of this case: “Looking at the activities in [the year under consideration], and taking account of the nature of the activities and the way they are carried on, I would reasonably have expected them to become profitable at some stage, but if you had asked me [at the beginning of the prior period of losses] to look at those [current] activities in the same way, I could not reasonably have expected them to become profitable until after [the end of the year under consideration].””
“Having established the business in 1995 the farm area increased with land purchase in 1998 and in 2000 when the business was fully established with 153 hectares being farmed. The conversion to organic production delayed the establishment of a stable business until December 2002 resulting in the first [saleable organic] harvest being 2003 and [the first] income accruing [from that harvest] in the year ending 2004. In my opinion a competent operator running a simple system of production, with sales to stable wholesale markets, and economies of scale being employed, could reasonably expect to be making a profit from conventional crop production and livestock rearing within 3-5 years. A more complex farming system such as organic farming with the establishment of a diverse portfolio of enterprises, combined with the development of short supply chains direct to end consumers and limited opportunities for economies of scale, where diversification and continual expansion are combined with retailing, a competent farmer could reasonably expect to be making a profit within 10 years. Where markets become unstable through forces beyond the control of the business, which necessitate production realignment and enterprise simplification and re-organization. A competent farmer could reasonably expect to be making a profit within 3 years from enterprises after restructuring.”