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Official guidance
Business Income Manual

BIM45000 · Specific deductions: entertainment: introduction and contents

  • BIM45005 · Specific deductions: entertainment: history
  • BIM45010 · Specific deductions: entertainment: what is business entertainment?
  • BIM45011 · Specific deductions: entertainment: meaning of business entertainment: judicial guidance
  • BIM45012 · Specific deductions: entertainment: meaning of business entertainment: hospitality provided free of charge
  • BIM45013 · Specific deductions: entertainment: meaning of business entertainment: contractual obligation
  • BIM45014 · Specific deductions: entertainment: meaning of business entertainment: no hospitality if sufficient ‘quid pro quo'
  • BIM45020 · Specific deductions: entertainment: expenditure which is not allowable
  • BIM45025 · Specific deductions: entertainment: travelling costs
  • BIM45030 · Specific deductions: entertainment: exceptions: provided in the normal course of trade for payment
  • BIM45031 · Specific deductions: entertainment: exceptions: normal course of trade for payment: judicial guidance
  • BIM45032 · Specific deductions: entertainment: exceptions: normal course of trade for purpose of advertising to the public
  • BIM45033 · Specific deductions: entertainment: exceptions: entertainment of employees
  • BIM45034 · Specific deductions: entertainment: exceptions: entertainment of employees: meaning of incidental
  • BIM45040 · Specific deductions: entertainment: entertaining by employees
  • BIM45045 · Specific deductions: entertainment: meals provided for non-employees
  • BIM45046 · Specific deductions: entertainment: accommodation provided for non-employees
  • BIM45047 · Specific deductions: entertainment: training courses
  • BIM45050 · Specific deductions: entertainment: promotional events
  • BIM45055 · Specific deductions: entertainment: sponsorship
  • BIM45060 · Specific deductions: entertainment: expenditure paid to specialist providers: entertainment providers
  • BIM45061 · Specific deductions: entertainment: expenditure paid to specialist providers: mixed services
  • BIM45062 · Specific deductions: entertainment: expenditure paid to specialist providers: example
  • BIM45065 · Specific deductions: entertainment: gifts: overview
  • BIM45070 · Specific deductions: entertainment: gifts: exceptions: small gifts
  • BIM45071 · Specific deductions: entertainment: gifts: exceptions: free samples
  • BIM45072 · Specific deductions: entertainment: gifts: exceptions: gifts to charities
  • BIM45074 · Specific deductions: entertainment: gifts: exceptions: gifts to employees
  • BIM45075 · Specific deductions: entertainment: prizes
  • BIM45080 · Specific deductions: entertainment: sales incentive schemes
  • BIM45085 · Specific deductions: entertainment: sales promotion schemes
  • BIM45090 · Specific deductions: entertainment: prizes and incentives: tax treatment of recipient
  1. Specific deductions: entertainment: introduction and contents
  2. Specific deductions: entertainment: sales incentive schemes

BIM45080 | Specific deductions: entertainment: sales incentive schemes

From HM Revenue & Customs · Business Income Manual

Performance related rewards are not business gifts

Awards made under a sales incentive scheme that are a way of rewarding performance are not business gifts.

Typically, a scheme of this kind has a structure of awards available to sales staff (who may or may not be employees). Awards may be dependent upon a particular level of sales or alternatively there might be a ‘prize’ for the highest number of sales. These prizes are not normally in cash, but may be holidays, luxury items or attendance at sales ‘conventions’ at which little work is done.

Expenditure satisfying all of the following conditions is allowable:

  • the reward has been genuinely ‘earned’ by the recipient

  • there is an obligation upon the trader to provide the gift, and

  • the gift is provided as part of a genuine business scheme

As far as the first condition is concerned, it is necessary to show that there is a direct relationship between the task and the reward - that there is a fair commercial exchange. Performance must be a genuine requirement and not merely a pretext for the award. Schemes that ensure ‘every one is a winner’ are unlikely to be genuine.

The last two conditions are normally fulfilled where there is a formal scheme in place and the rules are made known to all eligible persons.

For information about the tax position of the recipients of sales incentive awards, see BIM45090.

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