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Contents

Official guidance
Company Taxation Manual

CTM34500 · Residence: dual resident companies

  • CTM34505 · Introduction
  • CTM34510 · Legislation
  • CTM34530 · Definition
  • CTM34560 · Definition - investing company
  • CTM34590 · Advice from Head Office
  • CTM34600 · Anti-avoidance - limitation of group relief
  • CTM34610 · Anti-avoidance - limitation of loss relief
  • CTM34620 · Anti-avoidance - limitation of other reliefs
  • CTM34700 · Accounting periods straddling 1 April 1987
  • CTM34710 · Accounting periods straddling 1 April 1987: apportionment of losses
  • CTM34720 · Anti-forestalling provisions
  • CTM34730 · Early payment of charges on income
  • CTM34740 · Early payment of interest
  • CTM34750 · Board's direction
  • CTM34760 · Group reorganisations
  • CTM34770 · Reports to Business International
  1. Residence: dual resident companies: contents
  2. Residence: dual resident companies: advice from Head Office

CTM34590 | Residence: dual resident companies: advice from Head Office

From HM Revenue & Customs · Company Taxation Manual

In any case of doubt whether a company is a dual resident investing company, and in particular where the nature of any activities is an issue, officers may seek advice from the Base Protection Policy Team in BAI. There is no provision for statutory ‘clearances’ in this connection but any requests of this nature should be forwarded together with the file and a copy of the latest accounts for the company that can be provided by the group or its agents.

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