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Official guidance
Film Production Company Manual

FPC50000 · Film Tax Relief: Eligible Expenditure

  • FPC50005 · Introduction
  • FPC50010 · Core expenditure
  • FPC50020 · Attributing costs across the stages of film-making
  • FPC50030 · Distinguishing 'development' from later stages of production
  • FPC50050 · UK expenditure
  • FPC50060 · UK expenditure: Services directly related to single territory
  • FPC50070 · UK expenditure: Services not directly related to single territory
  • FPC50090 · UK expenditure: Post-production services
  • FPC50100 · UK expenditure: Supply of goods
  • FPC50110 · Apportionments: 'fair and reasonable'
  • FPC50115 · Leading actors
  • FPC50120 · Non-core expenditure
  • FPC50130 · Ineligible expenditure
  1. Film Tax Relief: Eligible Expenditure: Contents
  2. Film Tax Relief: Eligible Expenditure: Introduction

FPC50005 | Film Tax Relief: Eligible Expenditure: Introduction

From HM Revenue & Customs · Film Production Company Manual

A film production company (FPC) (FPC10110) that qualifies forFilm Tax Relief (FPC40000) in respect of a film is entitled toclaim an additional deduction in computing the profit or loss arising from the separatetrade of producing that film.

The additional deduction is based on the amount of core expenditure thatis UK expenditure.

The method by which the additional deduction is computed is dealt with at FPC55000. But prior to undertaking that computation it isnecessary to determine:

  • the extent to which expenditure is core expenditure (FPC50010), and if it is,

  • the extent to which it relates to services or goods ‘used or consumed in the UK’ (FPC50050).

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