CTM08440 - Corporation Tax: management expenses: property business
CTA09/S1219 (3)(b) and CTA09/PART4
Where a company with investment business also has a property business within the meaning of CTA09/S204 some part of the remunerationof employees and directors may refer to the management of the properties. That part should be deducted in the computation of the profits of the property business, and not as an expense of management under CTA09/S1219.
Officers should ensure, where there is a balance which is not deducted in the calculation of the profits of the property business, that excessive remuneration is not allowed as an expense of management (CTM08370) and that any unpaid remuneration is dealt with in accordance with CTA09/S1249 and S1250 (CTM08470). If there is a company with investment business and a property business, where there could be difficulty in agreeing the amount of admissible management expenses, a clear distinction should be drawn between:
- those items which the company claims as deductions in the computation of the profits of its property business, and
- the expenses incurred in managing its investment business which can be claimed as management expenses under CTA09/S1219.
The distinction is important because:
- expenses otherwise deductible in the computation of total profits or deductible in calculating any component of total profits (which would include the calculation of the profits of a property business) cannot be deductible as management expenses under CTA09/S1219 (3)(b).