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The Chancellor set out several changes to the energy profits levy (“EPL”) that had previously been announced, including:
The energy security investment mechanism (“ESIM”) will also be kept in place.
The government also announced a consultation to take place in early 2025 into how the upstream oil and gas regime responds to oil and gas prices shocks after EPL ends.
It has also confirmed certain technical changes to the decommissioning regime to facilitate the change of use of oil and gas fields for the purposes of carbon capture use and storage (“CCUS”) projects.
Companies which are subject to the “ring fence” tax regime by virtue of undertaking oil and gas exploration and extraction activities in the UK.
The increase in the EPL rate and changes to the EPL investment allowances will take effect from 1 November 2024.
The increase to the EPL rate and removal of the investment allowance are in line with industry expectations, given the plans set out in the Labour manifesto and announcements over the summer.
However, first year allowances for qualifying capital expenditure and the cash tax benefit of the decarbonisation allowance under the EPL regime have been retained.
Industry will now be paying keen attention to the consultation announced that will take place in early 2025 into how the upstream oil and gas ring fence tax regime responds to oil and gas price shocks after the end of the EPL.
The regular changes to the ring fence tax regime over the last two decades (including eight changes to tax rates in the last 10 years) have created uncertainty among investors. A regime that provides stability, is appropriate for a late life basin and supports the energy transition is key to helping the UK achieve its net zero objectives.