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Legislation
Corporation Tax Act 2009

Crossheading Qualifying expenditure

  • Section 1042D Qualifying expenditure: in-house R&D
  • Section 1042E Qualifying expenditure: payments for contracted out R&D
  • Section 1042F Qualifying expenditure: activity as contractor for irrelievable client
  1. Qualifying expenditure
  2. Qualifying expenditure: activity as contractor for irrelievable client

Section 1042F | Qualifying expenditure: activity as contractor for irrelievable client

From legislation.gov.uk

(1)Expenditure of a company is qualifying Chapter 1A expenditure if it meets conditions A, B and C in this section.

(2)Condition A is that the expenditure is attributable to relevant research and development contracted out to the company (see section 1133).

(3)Condition B is that subsection (4) is satisfied by each person by whom the research and development is contracted out to the company.

(4)A person satisfies this subsection if—

(a)the person is an ineligible company (see section 1142), or

(b)the person is not, in relation to the contracting out of the research and development by that person, acting in the course of a trade, profession or vocation within the charge to tax.

(5)Condition C is that the expenditure would, but for the fact that the research and development is contracted out to the company, be qualifying Chapter 1A expenditure by virtue of section 1042D or 1042E.

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