Our website uses cookies to enhance the visitor experience (what's a cookieCookies are small text files that are stored on your computer when you visit a website. They are mainly used as a way of improving the website functionalities or to provide more advanced statistical data.). Are you happy for us to use cookies during your visits?
Please note: continuing without making a choice equates to giving us your consent, which you can withdraw at any time via our cookies policy page.

Call us on 01457 860 285

Lomas and company - chartered accountants - advisors to business

Request a Callback

  • Book a Free Consultation
  • Get a Fixed Quote
Take our Monthly Poll
Your Business Size

Find out how to Make more, Keep more and Work less


Let property: improvement v repair

Newsletter issue - December 2021.

The tax rules for property businesses have changed considerably since 2010, for example the restriction of relief for financing costs to the equivalent of a basic rate tax reducer (at best). Almost all these changes have been made with the aim of making property letting less attractive. This makes it all the more important to ensure legitimate deductions are correctly identified and claimed.

One area where there is often confusion is the issue of whether work done on a property constitutes a repair, in which case the cost is allowable as a deduction against income (i.e. a revenue cost), or an improvement which is capital in nature, and can only be deducted against the eventual sales proceeds.

The problem is that it's not always a clear distinction. As an example, it should be fairly clear that building a new extension is a capital cost. However, would this still be the case if the extended part became damaged and had to be replaced?

HMRC's guidance in the property income manual is a helpful starting point. Their approach is that where there is significant capital improvement the cost is likely to be capital in nature. However, where the capital improvement is incidental, the whole cost can be included as a revenue expense.

Of particular interest is the point that where a repair or replacement of part of a building leads to an element of capital improvement, but this is due to use of modern materials, the cost remains revenue in nature. The examples given are:

  • wooden beams with steel girders, and
  • lead pipes with copper or plastic pipes.

As a general rule, the landlord should therefore be able to offset anything that involves a replacement with broadly equivalent materials.

Where there is both capital expenditure and revenue expenditure, a reasonable apportionment may be made if, for example, a single invoice has been issued.