SE31960 - Travel expenses: general - overseas conferences, seminars and study tours - getting evidence
Before a deduction can be permitted for the cost of an overseas
conference, seminar or study tour it needs to be demonstrated that
attendance was necessary to carry out the duties of the employment
of the person attending.
Some overseas trips are merely an incentive to reward or
motivate employees, see
SE31970. This may be particularly the
case where the trip is provided by a third party, see
SE31975.
An itinerary should be available for the trip showing
precisely what activities were involved. It is not enough that the
trip was authorised, or even required, by the employer. It is
necessary to be able to demonstrate that the duties of the
employment could not be performed without it, see
SE31647.
The insertion into an itinerary of a token business element,
such as a meeting that could equally well have taken place at the
employer’s premises in the United Kingdom, does not make the
travel cost necessarily incurred, see example
SE31991.
It is not enough to demonstrate that a trip had a personal
educational value. Expenditure incurred to improve an
employee’s qualifications for doing his or her job, or to
keep his or her knowledge up to date, are not deductible, see
SE31650. This is illustrated by example
SE31990.
You should be particularly wary of those cases where the trip
is made to an exotic or desirable location that appears to be
unrelated to the subject matter of the trip, for example, a
dentists convention in St Lucia. You need to consider critically
the reason for the trip.
If the employee’s spouse accompanies the employee, see
SE31980.
