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Contents

Official guidance
Business Income Manual

BIM35500 · Capital/revenue divide: intangible assets

  • BIM35501 · Corporation Tax intangible assets regime
  • BIM35505 · General introduction
  • BIM35510 · Acquisition of commercial advantages
  • BIM35515 · Acquisition of business franchises or licences
  • BIM35525 · Fees in connection with the capital structure of a business
  • BIM35530 · Profit making structure
  • BIM35535 · Profit making structure - more recent developments
  • BIM35540 · Payment to preserve existing business or asset structure
  • BIM35545 · Payment to change existing business or asset structure
  • BIM35550 · Exclusivity ties
  • BIM35555 · Exclusivity ties - reimbursed repairs, etc
  • BIM35560 · Exclusivity ties - acquiring an interest in land
  • BIM35565 · Changes to company charter
  • BIM35570 · Cost of an anti-nationalisation campaign
  • BIM35575 · Expenditure in connection with loans and other liabilities
  • BIM35580 · Incidental expenditure incurred in financing the business
  • BIM35585 · Release from an onerous agreement
  • BIM35590 · Getting rid of an unsatisfactory employee
  • BIM35595 · Payment to bind employee with a restrictive covenant
  • BIM35600 · Compensation for sterilising an asset
  • BIM35605 · Purchase of tipping sites by a waste disposal company
  • BIM35615 · Costs of incorporating a new company
  • BIM35620 · Making good dilapidations as a condition of the lease
  • BIM35625 · Surrender of onerous lease
  • BIM35630 · Assignment of onerous lease
  • BIM35635 · Payment to another company to cease production for a period
  • BIM35640 · Expenditure developing a brand name
  • BIM35645 · Building society demutualisation
  • BIM35650 · Money injected into a subsidiary as a condition of sale
  • BIM35655 · Liabilities assumed as part of the consideration for purchase of a business
  • BIM35660 · Proprietor's training courses
  1. Capital/revenue divide: intangible assets: contents
  2. Capital/revenue divide: intangible assets: payment to change existing business or asset structure

BIM35545 | Capital/revenue divide: intangible assets: payment to change existing business or asset structure

From HM Revenue & Customs · Business Income Manual

A payment that secures an enduring benefit to the business in terms of a change in organisation or structure is likely to be capital.

In Watneys London Ltd v Pike and Watney Combe Reid & Co Ltd v Pike [1982] 57TC372 the brewer made ex gratia payments to tenants of tied public houses to obtain vacant possession. The brewer did this to allow the trade at those premises to be conducted on a managed basis. This gave a larger return on capital. In law the tenants had no security of tenure but in practice they had enjoyed considerable security. The Special Commissioners held that the payments were capital. The court upheld their decision. At page 398I and 399A Walton J described the result of the payment:

The main, if not the only, factor in favour of the expenditure being classed as revenue expenditure is that it created no new asset. On the other side, it is quite clear that the object of the expenditure was to enable, or at any rate to facilitate, the replacement of one tenant (who might well in himself be a perfectly satisfactory tenant) with another tenant in order to enable the premises in question to be exploited in an entirely new way.

At page 399D Walton J considered that it made no difference, to the finding that the expenditure was capital that the advantage passed on to another group company rather than the one making the payment:

The only question can be whether the fact that the advantage passed to the group (the Watney Mann Group) and not to the appellants, makes any difference. I cannot see that it does.

If the payment were made for the purpose of another company, it would inevitably fall foul of the ‘wholly and exclusively’ requirement in S34(1)(a) Income Tax (Trading and Other Income) Act 2005 or S54(1)(a) Corporation Tax Act 2009 - see BIM37000 onwards.

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