CTM08240 - Corporation Tax: management expenses: capital v revenue
It was widely accepted for many years that capital expenditure
could not be an expense of management. However, following the case
of Camas PLC v Atkinson TL3728 it is now clear that capital
expenditure incurred in periods up to 31 March 2004 can be eligible
for relief if it is an expense of management. The decision does not
bring all capital expenditure within the management expenses net,
only that expenditure which as well as being capital in nature is
also an expense of management.
There is therefore a considerable divergence between the
position in respect of capital expenditure for a trading company
and that for an investment company for periods up to 31 March 2004.
For expenditure in accounting periods starting on or after 1
April 2004 (and deemed second periods for straddling accounting
periods) the position has been aligned with that of trading
companies. A specific capital exclusion was introduced in FA04,
which is now at ICTA88/S75 (3) (
CTM08250).
There is guidance on where the capital/revenue divide falls
at BIM35000 onwards and where the dividing line might fall in the
specific context of acquisitions and disposals for investment
companies/companies with investment business at
CTM08260. The case law for Case I
purposes will also apply to consideration of what is capital or
revenue expenditure in the management expenses context.
