EIM32940 - Other expenses: telephone charges
Section 336 ITEPA 2003
Where an employee necessarily bears the cost of telephone calls
made in the performance of his or her duties, a deduction under
Section 336 ITEPA 2003 should be permitted for the actual cost of
such calls, see example
EIM32950.
As regards cases where the telephone rental package requires
the payment of a fixed sum to cover both the line rental and calls,
see
EIM32942.
Normally, no deduction should be permitted for any part of
the rental or standing charge for a telephone installed at the
employee's home. The case of Lucas v Cattell (48TC353) provides
authority for not allowing a deduction for telephone line rental.
This is because the telephone line can be used for both business
and private calls and so no part of the line rental is exclusively
incurred in performing the duties of the employment, see
EIM31660.
Where there is a genuine business need for a second telephone
line at home and that line is used exclusively for business calls,
you can permit a deduction for the rental of the second line. See
also
EIM21615 where the employer subscribes
for a telephone line at the employee’s home.
No deduction should be permitted for Broadband Internet
access where the employee is able to use the Internet for
non-business purposes. If the employer provides the Internet
connection see EIM21615.
For mobile phones, see
EIM32945.
