BIM47107 - Specific deductions: staffing costs: expenses linked to personal interests of a director
Non allowable expense or Director’s remuneration?
Sometimes, a company may incur an expense that on enquiry is
linked to the personal interests of the director.
In this situation you should first consider whether the
expenditure gives rise to benefits taxable on the director as part
of their remuneration package. See EIM20001 for further guidance on
employment-related benefits.
If the expense is taxable on the director as part of their
remuneration package, then you should allow the deduction as part
of the costs of employing the director.
For example, the controlling director of a company is a keen
powerboat enthusiast. The company purchased a Powerboat and paid
all the maintenance costs. The Powerboat carried an advertising
logo for the company. The company claimed the costs as advertising
expenditure. On enquiry it was accepted as fact that the purpose of
the expenditure on the powerboat was not advertising (see BIM42565)
and that the provision of the powerboat was a taxable benefit in
the hands of the director. The director was not able to claim a
deduction under the employment income rules (s336 ITEPA).
In this situation the costs of maintaining the powerboat are
an allowable deduction for the company as part of the costs of
employing the director.
Details of the capital allowances considerations can be found
at CA27100.
