CIRD134000 - R&D Tax Reliefs: reformed reliefs: categories of qualifying expenditure: software
Revenue expenditure incurred on software employed in R&D is a category of qualifying expenditure for both new RDEC and ERIS. Software means computer software.
The software must be used in activity that constitutes R&D for tax purposes (see CIRD81910), which includes ‘qualifying indirect activities’.
Use other than directly in R&D
Expenditure on software not employed directly in R&D is not qualifying expenditure.
So, software used by the human resources department for routine work related to the R&D staff would be included. But software used to train the HR staff would not.
Apportionments
Where software is only partly employed in direct R&D an appropriate apportionment of the expenditure should be made.
How a suitable apportionment is to be achieved in practice is dependent on the particular facts of the R&D, and the software.
Wherever possible a pragmatic approach should be adopted - for example, an apportionment based on staff numbers may prove most suitable where a particular software product is used by R&D and non-R&D staff.
If a company offers a reasonable apportionment basis HMRC do not envisage detailed enquiries being desirable to establish a slightly more accurate alternative.