SCHEDULES

C1I1SCHEDULE 13Tax relief for expenditure on vaccine research etc

Annotations:
Commencement Information
I1

Sch. 13 has effect in relation to expenditure incurred on or after 22.4.2003 by The Finance Act 2002, Schedule 13 (Appointed Day) Order 2003 (S.I. 2003/1472), art. 2 (with para. 28(1))

Modifications etc. (not altering text)
C1

Sch. 13 modified (with effect as specified in art. 2 of the commencing S.I. of the commencing S.I.) by Finance Act 2004 (c. 12), s. 53(2)(6); S.I. 2004/3268, art. 2

Part 1Entitlement to relief

7Conditions that must be satisfied by qualifying expenditure on sub-contracted research and development

1

Expenditure of a company on sub-contracted research and development is not qualifying expenditure unless it satisfies the following conditions.

2

The first condition is that the expenditure is on research and development directly undertaken on behalf of the company by the sub-contractor.

3

The second condition is that the expenditure is on qualifying R&D activity (see paragraph 4).

4

The third condition is that the R&D activity in respect of which the expenditure is incurred is relevant research and development in relation to the company.

5

The fourth condition is that the expenditure is not of a capital nature.

6

The fifth condition is that the expenditure is not subsidised.