CIRD81700 - R&D tax relief: conditions to be satisfied: capital expenditure
FA00/SCH20/PARA3 (2) & FA02/SCH12/PARA3 (4)
Capital expenditure is not eligible to be qualifying R&D
expenditure; it may however qualify for R&D allowances (see
CA60000 onwards). The accounts treatment (involving either
recognition of an asset on the balance sheet or the write off of
expenditure immediately to the profit and loss account) is not
conclusive of whether the expenditure is revenue or capital for tax
purposes. Expenditure that is revenue expenditure for tax purposes
but is capitalised for accounting purposes is dealt with at
CIRD81450.
The guidance at BIM35000 onwards considers whether
expenditure in the course of a trade is capital expenditure. In
particular consideration is given to the question of whether
in-house development of software is capital at BIM35800 onwards.
The same considerations apply broadly for R&D tax relief,
but an important consideration is that many of the companies
claiming R&D tax relief will be either in a pre-trading stage
or in the early stages of trading. When considering whether
expenditure is capital for a company in this position one must bear
in mind the future activities of the company, (FA00/SCH20/PARA4).
This is particularly in point when R&D tax relief is
claimed by SMEs in the pre-trading stage, or prior to a development
in the trade. For that reason, while the principles of capital
expenditure still need to be considered, we would not normally wish
Inspectors to pursue arguments in grey areas where the facts do not
clearly support a characterisation of expenditure as capital.
