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Contents

Official guidance
Company Taxation Manual

CTM08000 · Corporation Tax: management expenses

  • CTM08005 · Introduction
  • CTM08010 · Commencement and transitional provisions in FA04
  • CTM08020 · Investment company - status
  • CTM08030 · Investment company - principal part of income
  • CTM08040 · Investment company - with investment business
  • CTM08050 · Investment company - business of making investments: case law
  • CTM08060 · Company status - parent or holding companies
  • CTM08070 · Company status - cessation of trade
  • CTM08080 · Company status - liquidation
  • CTM08090 · Company status - housing associations
  • CTM08100 · Company status - investment funds
  • CTM08110 · Company status - development corporations
  • CTM08150 · General
  • CTM08160 · General - case law
  • CTM08170 · Wholly and exclusively
  • CTM08180 · Groups
  • CTM08190 · Changing investments - general test
  • CTM08200 · Take-over bid defence costs
  • CTM08210 · Avoidance and unallowable purpose - general
  • CTM08215 · Unallowable purpose
  • CTM08220 · Unallowable purpose - business or commercial purpose test
  • CTM08225 · Unallowable purpose - activities within the charge to tax
  • CTM08230 · Targeted anti-avoidance provision - introduction and commencement
  • CTM08232 · Targeted anti-avoidance provision (TAAR) - general
  • CTM08234 · Targeted anti-avoidance rule (TAAR) - purpose
  • CTM08235 · Targeted anti-avoidance rule (TAAR) - example of arrangements caught
  • CTM08236 · Targeted anti-avoidance rule (TAAR) - arrangements
  • CTM08238 · Targeted anti-avoidance rule (TAAR) - tax advantage
  • CTM08239 · Targeted anti-avoidance rule (TAAR) - outlying provisions
  • CTM08240 · Capital v revenue
  • CTM08250 · Capital exclusion - periods starting on or after 1 April 2004
  • CTM08260 · Capital exclusion - acquisitions and disposals - periods from 1 April 2004
  • CTM08300 · Raising finance
  • CTM08310 · Short interest
  • CTM08320 · Insurance premiums
  • CTM08330 · Directors' remuneration
  • CTM08340 · Pension contributions
  • CTM08360 · Employees' relocation expenses
  • CTM08370 · Employees seconded to charities
  • CTM08380 · Charity agencies payroll giving scheme
  • CTM08390 · Employee share schemes costs
  • CTM08400 · Redundancy payments
  • CTM08410 · Administrative costs
  • CTM08420 · Valuations
  • CTM08430 · Statutory provisions
  • CTM08440 · Property business
  • CTM08450 · Capital allowances on machinery and plant
  • CTM08455 · Capital allowances on structures and buildings
  • CTM08460 · Restrictive covenants
  • CTM08470 · Timing of deduction of emoluments
  • CTM08550 · Meaning of ‘disbursed’
  • CTM08560 · Timing of relief - periods from 1 April 2004
  • CTM08570 · Reversals
  • CTM08580 · Method of relief and computation
  • CTM08600 · Appeals
  • CTM08610 · Order of set-off
  • CTM08620 · Carry forward and group relief of excess expenses
  1. Corporation Tax: management expenses: contents
  2. Corporation Tax: management expenses: unallowable purpose

CTM08215 | Corporation Tax: management expenses: unallowable purpose

From HM Revenue & Customs · Company Taxation Manual

FA04 introduced an unallowable purpose test for determining whether expenses are allowable, which is now included at CTA09/S1219 (2)(b) and S1220. It looks at the reason for the company holding the investments. If the investments are held for an unallowable purpose then any expenditure connected with managing those investments is not an expense of management.

The test applies to periods beginning on or after 1 April 2004 and to the second deemed accounting period in an accounting period which straddles 1 April 2004.

For expenditure paid on or after 20 June 2007, CTA09/S1220 (2) strengthens the business or commercial purpose part of the test.

S1219 (2) sets out two criteria which expenses of management must satisfy before they can be regarded as expenses ‘of a company's investment business’, as required by S1219:

  1. The expenses are in respect of so much of the company’s business as consists in the making of investments. (The meaning of ‘making of investments’ has been considered by the courts in the context of the previous definition of an investment company and carries the same meaning in the context of this new legislation - see CTM08050).

  2. The company must not hold the investments concerned for an unallowable purpose during the accounting period.

S1220 (1) defines what is an unallowable purpose for S1219 (2)(b). Investments are held for an unallowable purpose during an accounting period to the extent that they are held either:

  • for a purpose that is not a business or other commercial purpose of the company, (CTM08220), or

  • for the purpose of activities in respect of which the company is not within the charge to CT, (CTM08225).

Any apportionment of expenses that only partly meet these requirements is to be made on a ‘just and reasonable basis’ in accordance with S1220 (4).

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