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Official guidance
Double Taxation Relief Manual

DT9850PP · Double Taxation Relief Manual: Ireland

  • DT9850 · Agreements in force
  • DT9852 · Outline of guidance
  • DT9853 · Income from trade
  • DT9854 · Income from an office or employment
  • DT9855 · Pensions
  • DT9856 · Other income
  • DT9857 · Interest and royalties
  • DT9858 · Bank or building society interest
  • DT9860 · Exemption or partial relief from Irish tax
  • DT9861 · Claim forms
  • DT9862 · Issue of forms to claimants
  • DT9863 · Completion of forms
  • DT9864 · Claim forms to be forwarded to UK tax office
  • DT9865 · Procedure in UK tax office
  • DT9867 · Exemption in Ireland is refused
  • DT9868 · Errors and omissions
  • DT9869 · Cessation of residence in the UK
  • DT9870 · Exemption or partial relief from UK tax
  • DT9871 · Method of granting relief
  • DT9872 · Double Taxation Relief Manual: Guidance by country: Ireland: information on residence
  • DT9873 · Claims dealt with in districts
  • DT9875 · Credit
  • DT9876 · Nationals
  • DT9877 · Changes of residence
  • DT9878 · Company residence
  • DT9879 · Source of income
  • DT9880 · Immovable property
  • DT9881 · Business profits and subcontractors
  • DT9882 · Dividends
  • DT9883 · Dividends
  • DT9885 · Double Taxation Relief Manual: Guidance by country: Ireland: capital gains
  • DT9886 · Trading in the UK through a branch or agency
  • DT9887 · Residents of the UK with gains in Ireland
  • DT9888 · Charities superannuation funds
  • DT9889 · Pension business of life assurance companies
  • DT9890 · Government remuneration and pensions
  • DT9891 · Associated companies
  • DT9892 · Pension contributions
  • DT9893 · Approved retirement fund
  • DT9895 · Ireland: Underlying Tax
  1. Double Taxation Relief Manual: Ireland: contents
  2. Double Taxation Relief Manual: Ireland: business profits and subcontractors

DT9881 | Double Taxation Relief Manual: Ireland: business profits and subcontractors

From HM Revenue & Customs · Double Taxation Relief Manual

An enterprise of Ireland is chargeable to United Kingdom tax only on profits attributable to a permanent establishment which the enterprise has in the United Kingdom (Article 8). With effect from 6 April 1999 (1 April 1999 for Corporation Tax purposes), only where a building site or construction or installation project lasts for more than six months may it be considered to be a permanent establishment. A subcontractor who is a resident of Ireland carries on an Irish enterprise, but in practice a labour only subcontractor working in the United Kingdom should not normally be regarded as having a permanent establishment here unless there are exceptional circumstances, for example he has a separate office apart from the main contractor's site.

A claim for exemption from United Kingdom tax on business profits, including income as a subcontractor, should only be admitted where the taxpayer has provided a statement from the Irish Tax Authorities to the effect that he was a resident of Ireland for Irish tax purposes during the period for which a claim has been made.

Exemption from United Kingdom tax on profits does not confer exemption from the operation of the construction industry deduction scheme which applies to all concerns operating on construction industry contracts in the UK (see CISR42130).

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