CIRD82450 - R&D tax relief: categories of qualifying expenditure: consumable stores
FA00/SCH20/PARA6
Consumable stores ceased to be qualifying expenditure for
expenditure incurred on or after 1 April 2004. Consumable items and
software (
CIRD82300 and
CIRD82500) have now been introduced as
categories of qualifying expenditure. For expenditure incurred
prior to the implementation of the new categories it will still be
necessary to test whether any expenditure would qualify as
consumable stores.
Expenditure on consumable stores is expenditure on materials
and equipment used up in the R&D activity, but which are not in
themselves incorporated or reflected in the product of the R&D.
Supplies, materials, or equipment used only indirectly in the
R&D effort e.g. related to general overheads such as
administration will not qualify. The measure of the cost of
consumable stores is the amount that would be recognised under
GAAP.
Expenditure on heat, light, power, rent, rates, interest,
lease payments, books and journals are not consumable stores.
Payments for the rights to use software are not consumable stores.
The cost of information technology hardware does not qualify,
unless exceptionally the purchase is of generic parts bought to
form an integral part of a prototype.
Consumable stores are, by their nature comparatively
short-lived, and spending on them will be revenue expenditure. For
example, the consumable stores of a chemistry-based R&D project
may include such items as disposable, or short life, laboratory
equipment (flasks, test tubes) and chemicals used in the R&D
process, etc. This spending will be revenue expenditure and could
qualify for R&D tax relief. But expenditure on a centrifuge
will usually be on capital account, and, if so, will not qualify.
The consumable stores that go into the making of prototypes
would qualify, but significant specially commissioned parts are
generally excluded. For example, a company may be working on a
solar powered cordless toaster incorporating groundbreaking sensor
technology. The cost of the materials used to make a prototype
would qualify insofar as they are not specially commissioned, as
would the bread used to test its effectiveness.
Some consumable stores are recyclable; for example, it may be
economically viable to sell the waste products from chemicals used
in an R&D activity. The whole cost of such items can be claimed
as qualifying for the R&D tax relief.
FA02/SCH12/PARA17 (c) adopted the same definition of
expenditure on consumable stores for the large company scheme.
When the definition of consumable stores was introduced it
was expected to take its general accountancy meaning. But, in
practice, although the term is used in SSAP9, there is no specific
accountancy definition. So we rely on the wording of the statute -
there is a need for the subject matter to be consumable, and to
have a character of a product that forms part of the stores of the
company. That is why we generally rule out specially commissioned
parts - as they will usually be bought to order for specific
purposes, rather than being part of the company’s stores.
