EIM32370 - Travel expenses: travel in the performance of the duties: travel to and from home where it is a place of work
Section 337 ITEPA 2003
Where an employee's home is itself a place of work, the cost of
travel between there and other permanent workplaces may sometimes
be deductible under Section 337 as travel in the performance of the
duties. A detailed explanation of the circumstances in which you
can accept that an employee's home is a place of work is at
EIM32760.
Note though that the fact that an employee’s home is
treated as a workplace for tax purposes is not enough, on its own,
to enable the employee to obtain relief under Section 337 for the
expenses of travelling to another permanent workplace. For
most people, the place where they live is a matter of personal
choice. So the expense of travelling from home to any other place
is a consequence of that personal choice, not an objective
requirement of their job. The case law discussed in the following
pages demonstrates that the expenses of travelling from home to
another workplace do not qualify for relief under Section 337
unless the location of the employee’s home is itself dictated
by the requirements of the job.
Even where that condition is met, the cost of travel between
the employee's home and another permanent workplace is only
deductible during those times when the home is a place of work, see
EIM32170.
Employees who work at home are of course entitled to a
deduction for the expenses of travelling to a temporary workplace
in the same way as any other employee, see
EIM32170.
