CTM08250 - Corporation Tax: management expenses: capital exclusion: periods starting on or after 1 April 2004
ICTA88/S75 (3) now specifically provides that expenditure of a
capital nature does not count as expenses of management under the
general rules. This provision does not apply to capital sums that
are treated as expenses of management under a provision outside
Section 75, or to amounts representing capital allowances treated
as expenses of management under Section 75 (7).
The capital/revenue divide applies across all heads of
charge. See BIM35000 onwards for details of this issue in the Case
I context.
The fact that the investments of a company with investment
business are likely to be held on capital account does not create a
presumption that the expenses of managing those investments are
themselves capital. Ordinary recurring expenditure which otherwise
satisfies the tests in Section 75 is very unlikely to be of a
capital nature. For example, we would generally expect regular,
ongoing costs of employment of staff in a department managing a
company's investments to be non-capital.
It is also worth noting that if expenses are debited in a
statement of ‘capital’ profits and losses in financial
accounts, or in a statement that combines revenue and
‘capital’ items, that does not in itself exclude them
from deduction as expenses of management. Section 75A (10) covers
this point.
For details of where the capital/revenue divide might fall in
the context of acquisitions and disposals, see
CTM08260.
