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Contents

Official guidance
Corporate Intangibles Research and Development Manual

CIRD70000 · Telecommunications licences and rights

  • CIRD70105 · Introduction: how the guidance is organised
  • CIRD70110 · Introduction: outline
  • CIRD70150 · Introduction: the legislation: FA00/S87
  • CIRD70155 · Introduction: the legislation: FA00/SCH23
  • CIRD70305 · Wireless telegraphy licences: background
  • CIRD70320 · Wireless telegraphy licences: auctions
  • CIRD70330 · Wireless telegraphy licences: further information
  • CIRD70340 · IRUs: background
  • CIRD70350 · IRUs: particular points
  • CIRD70355 · IRUs: granting of
  • CIRD70360 · Wireless telegraphy licences and IRUs: derived rights
  • CIRD70400 · How the legislation works: introduction
  • CIRD70405 · How the legislation works: expenditure on acquisitions
  • CIRD70410 · How the legislation works: receipts from disposals
  • CIRD70415 · Revaluations
  • CIRD70420 · Traders and non-traders
  • CIRD70505 · Accounting and groups: 'taken into account'
  • CIRD70510 · Accounting and groups: group accounts
  • CIRD70600 · Accounting and groups: commencement provisions
  • CIRD70605 · Accounting and groups: date of acquisition
  • CIRD70610 · Accounting and groups: acquisition from associates or associated companies
  • CIRD70620 · Accounting and groups: controlled foreign companies
  • CIRD70705 · Transition to intangible regime: transitional provisions (CT only)
  • CIRD70710 · Transition to intangible regime: reinvestment relief (CT only)
  1. Telecommunications licences and rights: contents
  2. Telecommunications licences and rights: accounting and groups: controlled foreign companies

CIRD70620 | Telecommunications licences and rights: accounting and groups: controlled foreign companies

From HM Revenue & Customs · Corporate Intangibles Research and Development Manual

There are no special rules for controlled foreign companies and IRUs. The general controlled foreign companies rules will apply. For more information about controlled foreign companies see INTM200000 onwards.

If income from IRUs would form part of the chargeable profits of a UK company, the income will form part of the chargeable profits of a controlled foreign company that could be apportioned.

Exempt activities test

The granting of an IRU is the leasing of a property or right and falls within the definition of investment business (INTM205070). The fact that the business, if carried on in the UK, would be taxed under Case I of Schedule D makes no difference. The controlled foreign company is still deemed to carry on an investment business outside the terms of the exempt activities test (INTM205010).

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