As part of a statement announcing the draft legislation for the new Finance Bill 2020-21, government said: “Under current legislation, the next revaluation would take effect on 1 April 2022 based on pre-Covid-19 property values as of 1 April 2019. In May 2020, the Government announced a postponement to provide greater certainty for firms affected by the impacts of Covid-19.
“The Government is today announcing that the next revaluation of non-domestic property in England will instead take effect on 1 April 2023. So that it better reflects the impact of Covid-19, it will be based on property values as of 1 April 2021.”
John Webber commented: “While we understand why the Government has taken this approach- given the impact of Covid-19 on values, we think there are 3 issues that need to be considered:
The values currently in the rating list should be reduced because of the effect of Covid-19 on the back of tens of thousands of MCC (Material Change of Circumstances) appeals – and the government should thus be addressing these cases as a matter of urgency.
We foresee that with a revaluation date of April 1st, 2021 we will still be seeing values significantly impacted by Covid-19 and we doubt that the VOA will have sufficient evidence or expertise to arrive at correct figures. The lasting effects of Covid-19 will lead to a significant reduction in rental values at the April 1st, 2021 valuation date.
In effect what the Government will therefore potentially be faced with is either a significantly reduction in the annual tax take of £26 billion, or, if they wish to maintain £26 billion of receipts, they will either have to increase the multiplier from the current level of 50p significantly or introduce another calamitous transitional relief scheme,
This could give the government the opportunity to recognised that the amount taken in business rates is excessive and unsustainable – and to reduce the multiplier accordingly.
The likelihood is however that given the state of public finances by 2023 it is unlikely they will be able to afford to do this.
The alternative could be that a properly resourced VOA could carry out a revaluation in 12 months and still introduce a new list on 1st April 2022.
This would be better than such a delayed list. Under today’s proposals, rate bills will still be calculated according to the 2017 list and 2015 values- until 2023- a six-year list. Such a long list is in nobody’s interest and only intensifies the need for urgent business rates reform.”