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Contents

Official guidance
Corporate Intangibles Research and Development Manual

CIRD160000 · R&D tax reliefs: reformed reliefs: Contracted out R&D

  • CIRD161000 · Overview
  • CIRD162000 · Concise examples
  • CIRD162100 · More detailed examples
  • CIRD163000 · Ineligible companies
  • CIRD164000 · Group election
  • CIRD165000 · Transitional provisions
  1. R&D tax reliefs: reformed reliefs: Contracted out R&D: contents
  2. R&D Tax Reliefs: reformed reliefs: contracted out R&D: ineligible companies

CIRD163000 | R&D Tax Reliefs: reformed reliefs: contracted out R&D: ineligible companies

From HM Revenue & Customs · Corporate Intangibles Research and Development Manual

CTA09/S1142

Ineligible companies cannot claim R&D tax relief.

Any of the following is an ineligible company:

  • a charity

  • an institution of higher education such as a university

  • a scientific research organisation

  • a health service body

The Treasury may make an order prescribing a body as an ineligible company (CTA09/S1142(1)(e)).

Group election

Two group companies can make a joint election under CTA09/S1142(5). The effect of this election is that:

· In respect of any R&D contracted out by one to the other, the one contracting R&D out is to be treated as an ineligible company

· Where relief would not otherwise be available for activity undertaken by the contractor, because it is not R&D in that company's hands, but it is R&D for the customer, the activity is treated as if it were R&D for the contractor

Further guidance on the group election is available at CIRD164000.

Transitional provisions

The provisions at FA24/Para 18(4) & (5) deem a company to be ineligible in certain circumstances – see CIRD165000.

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