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BLAGAB

Basic life assurance and general annuity business are defined as being the life assurance business not fitting

within any other category of business under section 431F ICTA. It is often abbreviated to BLAGAB. BLAGAB is taxed on the so-called “I minus E basis” (i.e.

The company is taxed on its investment return minus its expenses of management). The I minus E basis raises the UK Exchequer more revenue than it would get if it were taxed on a trading basis.

This is because a trading computation would tax Premiums plus Investment return minus Expenses minus Claims, and the expectation is that policyholder claims will be greater than the

premiums they pay, as policyholders tend to hold life assurance policies as an investment that they hope will grow.

To ensure the Exchequer does not lose out in a year when a trading basis would yield greater tax revenues, E (expenses of management) is restricted so the I minus E cannot be lower than the measure of trading profits, with any restricted E being carried forward and deemed to be E of the subsequent period.
Before 1 January 1992, there were separate tax computations for basic life assurance business and for general annuity business, since then the two categories have been combined into BLAGAB.
Capital redemption business written since 31 December 1937 has been treated as though it were BLAGAB from the first accounting period of a company ending on or after 1 July 1999. Before then, it was treated as a separate business taxed on an I minus E basis.
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