EIM21617 – Particular benefits: supplies and services provided other than on the employer’s premises: Internet access in the employee’s home
Employer provides Internet access
Before 6 April 2006 the first £500 of the benefit charge
arising on provision by an employer of computer equipment in an
employee's home was exempt from tax under Section 320 ITEPA 2003
(see
EIM21700). This exemption did not
include fees paid by the employer to an Internet Service Provider
(ISP). This exemption was removed by Finance Act 2006.
Section 316 (see
EIM21610) exempts from tax assets or
services provided by an employer in the employee's home solely for
work purposes, as long as any private use is not significant (see
EIM21613).
Where an employer provides for Internet access at the
employee's home solely for work purposes, under a package where
there is no separate billing or record of access calls, and no
breakdown is possible between work and private calls, we accept
that where private use is not significant (and private use does not
affect the cost of the package) the costs of connection are exempt
from tax under Section 316.
For tax purposes the cost of providing the telephone line to
connect to the Internet is a separate matter from the contract
between the ISP and the employer or employee. The treatment of the
telephone line rental and call charges depends on who has
contracted with the provider of the telephone line (see
EIM21615).
Employer reimburses employee for the cost of subscriptions to an ISP
Where an employee is the subscriber for Internet access to his
or her home, and the employer reimburses the employee for these
costs, there is no scope for the exemption in Section 316 to apply,
as the employer is not providing a benefit. But where a payment is
made by an employer to reimburse an employee for reasonable
additional costs (
EIM01476) incurred whilst working at
home under homeworking arrangements (
EIM01472), the payments may be exempt
under Section 316A ITEPA.
“Reasonable additional costs” would include a
broadband subscription if an employee who had not previously
subscribed for broadband needed to do so in order to work from
home. Payments to an employee who was already subscribing for
broadband, and for whom the cost was therefore not
“additional” will not qualify for exemption under
Section 316A.
Employee pays for ISP subscription – no reimbursement from employer
If the employee can show that the Internet costs related to use
wholly, exclusively and necessarily in the performance of his
duties, he may be entitled to a deduction under Section 336 ITEPA
2003 (
EIM31620).
However, where an Internet package, such as for Broadband
access, provides unlimited access and no separate billing
procedures to separate business use from private use, it is not
possible for an employee to identify any specific part of the cost
as relating to business use. Consequently the position for these
packages is the same as for similar mobile phone packages (
EIM32945 and
EIM32951). If there is no identifiable
cost that is wholly and exclusively for business use, no deduction
will be due.
