CIRD87000 - R&D tax reliefs: large company scheme: groups
FA02/SCH12/PARA14
R&D tax relief is generally only available where the
expenditure is attributable to relevant R&D (
CIRD81400) for the company.
The only exception to this is under the large company scheme
where a company is contracted to do work by a member of the same
group. Group takes the meaning in ICTA88 Part10 Chapter 4
(ICTA88/S402 onwards) - see CTM80150. The companies must be members
of the same group at the time the payment is made.
The effect of the group company provision in paragraph 14 is
that when a contractor company and a subcontractor company are
members of the same group it is necessary to look at the activities
of the contractor and subcontractor together in deciding whether
the activities of the subcontractor company are relevant R&D.
Expenditure within any of the categories of qualifying
expenditure can be qualifying expenditure for the group company to
whom the activities are subcontracted.
Example
One group company may carry out testing procedures for all
the other companies in the group. Testing on its own is not
relevant R&D but it could be if it was done by a company as
part of its own relevant R&D activity. The special rules for
groups of companies allow the group company carrying out the
testing to claim relief for the qualifying R&D expenditure it
incurs in conducting the testing activities.
Example
If the company responsible for the testing instead
subcontracts the activity to a qualifying body (
CIRD82250), then the payment made for
undertaking the activity by that group company to the body would be
qualifying R&D expenditure.
