CFM75110 | Other tax rules on corporate finance: deduction of tax: advances by a bank
From HM Revenue & Customs · Corporate Finance Manual
Advances by a bank
The exemption at ITA07/S878 applies to interest paid by a bank. There is a further exemption at ITA07/S879 that applies in certain circumstances where interest is paid to a bank.
The obligation under ITA09/S874 to deduct tax is switched off if:
it is payable on an advance from a bank, and
at the time when the interest is payable, the person entitled to the interest is within the charge to corporation tax as respects the interest.
‘Bank’ is defined at ITA07/S991 (CFM14060). The person entitled to the interest does not have to be the bank that first made the advance: ITA07/S879 will continue to apply even if the bank assigns the loan to a UK company that is not a bank.
This provision assumes much less importance for interest paid by a company, or a partnership whose members include a company, on or after 1 April 2001. From that date, there is no obligation to deduct tax where the payer reasonably believes the person entitled to the interest to be a company resident in the UK. Similarly, payment can be made gross if there is a reasonable belief that the interest is being brought into charge to corporation tax by a UK permanent establishment of a non-resident company. These provisions also apply to interest paid by a local authority on or after 1 October 2002.
These relaxations only remove the obligation to deduct tax from yearly interest imposed by ITA07/PT15/CH3 on companies, local authorities and partnerships with company members. They do not apply to the obligation under ITA07/S874(1)(d) to deduct tax from interest paid to non UK residents.
Example
A company incorporated in Italy is recognised as a bank in the UK for the purposes of ITA07/S991.
Its UK branch makes a normal business loan to X Ltd, a UK trading company. Since the bank's normal place of abode is outside the UK, X Ltd has to consider whether it should deduct tax from the interest payments under ITA07/S874. However, since the advance was made by a bank, and the interest is being paid to its UK branch, which is within the charge to CT in respect of the interest, X Ltd is able to pay the interest gross by virtue of ITA09/PT15/CH11.