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Contents

Official guidance
General Insurance Manual

GIM12000 · Double taxation relief

  • GIM12010 · Background: types of foreign tax suffered
  • GIM12020 · Background: Double Taxation Conventions
  • GIM12030 · Background: residence and similar certificates
  • GIM12040 · Background: no relief for "company tax deducted"
  • GIM12050 · Overseas branch profits: calculation
  • GIM12060 · Overseas branch profits: foreign taxes on UK insurers where there is no "permanent establishment": background
  • GIM12070 · Overseas branch profits: foreign taxes on UK insurers where there is no "permanent establishment": premium taxes
  • GIM12080 · Overseas branch profits: foreign taxes on UK insurers where there is no "permanent establishment": admissibility for credit
  • GIM12090 · Overseas branch profits: foreign taxes on UK insurers where there is no "permanent establishment": "treaty carve out"
  • GIM12100 · Overseas branch profits: foreign taxes on UK insurers: deemed "permanent establishment"
  • GIM12110 · Overseas branch profits: creditability of taxes on branch profits: OECD Article 7
  • GIM12120 · Underlying tax on dividends referable to an overseas branch: accounting periods beginning before 1 April 2000
  • GIM12130 · Underlying tax on dividends referable to an overseas branch: accounting periods beginning before 1 April 2000: restriction of credit under section 802 ICTA 1988
  • GIM12140 · Underlying tax on dividends referable to an overseas branch: accounting periods beginning before 1 April 2000: restriction of credit under section 802 ICTA 1988: example
  • GIM12150 · Underlying tax on dividends referable to an overseas branch: accounting periods beginning before 1 April 2000: section 802 ICTA and Extra-Statutory Concession C1(b)
  • GIM12160 · Underlying tax on dividends referable to an overseas branch: accounting periods beginning before 1 April 2000: section 802 ICTA & ESC C1(b): information
  • GIM12170 · Foreign tax on other income: accounting periods beginning before 1 April 2000
  • GIM12180 · General rules for accounting periods beginning on or after 1 April 2000
  • GIM12190 · General rules for accounting periods beginning on or after 1 April 2000: income and gains not referable to insurance business
  • GIM12200 · Foreign tax on investment income: accounting periods beginning on or after 1 April 2000: section 804C ICTA 1988
  • GIM12210 · Foreign tax on investment income: accounting periods beginning on or after 1 April 2000 section 804C ICTA 1988: limitation of relevant income
  • GIM12220 · Foreign tax on investment income: accounting periods beginning on or after 1 April 2000: section 804C ICTA 1988: the first limitation - for expenses
  • GIM12230 · Foreign tax on investment income: accounting periods beginning on or after 1 April 2000: section 804C ICTA 1988: the first limitation: example
  • GIM12240 · Foreign tax on investment income: accounting periods beginning on or after 1 April 2000: section 804C ICTA 1988: meaning of "total relevant expenses" and "total income"
  • GIM12250 · Foreign tax on investment income: accounting periods beginning on or after 1 April 2000: section 804C ICTA 1988: the first limitation: shortcut
  • GIM12260 · Foreign tax on investment income: accounting periods beginning on or after 1 April 2000: section 804C ICTA 1988: the second limitation: purpose of section 804C(4)
  • GIM12270 · Foreign tax on investment income: accounting periods beginning on or after 1 April 2000: section 804C ICTA 1988: the second limitation: section 804C(4) calculation
  • GIM12280 · Foreign tax on investment income: accounting periods beginning on or after 1 April 2000: section 804C ICTA 1988: the second limitation: example
  • GIM12290 · Foreign tax on investment income: accounting periods beginning on or after 1 April 2000: section 804C ICTA 1988: limitations applied to a non-insurance subsidiary
  • GIM12300 · Foreign tax on investment income: accounting periods beginning on or after 1 April 2000: section 804C ICTA 1988: interaction of credit relief and relief as expense
  1. Double taxation relief
  2. Double Taxation Relief: background: Double Taxation Conventions

GIM12020 | Double Taxation Relief: background: Double Taxation Conventions

From HM Revenue & Customs · General Insurance Manual

Where the foreign tax is imposed by a country with which the United Kingdom has concluded a comprehensive Double Taxation Convention (DTC) which remains in force, then that convention (or treaty as it is sometimes known) will provide the extent to which credit may be given. A typical DTC will provide:

‘Subject to the provisions of the law of the United Kingdom regarding the allowance as a credit against United Kingdom tax of tax payable in a territory outside the United Kingdom (which shall not affect the general principle hereof):

Freedonian tax payable under the laws of Freedonia and in accordance with the provisions of this Convention, whether directly or by deduction, on profits, income or chargeable gains from sources within Freedonia shall be allowed as a credit against any United Kingdom tax computed by reference to the same profits, income or chargeable gains by reference to which the Freedonian tax is computed.’’

The reference to “the provisions of the law of the United Kingdom” means that limitations on the ability of a company to claim and use a foreign tax credit apply both to foreign tax which is subject to a DTC, and foreign tax for which relief is given unilaterally, in the absence of a DTC. For unilateral relief a similar wording is found in ICTA88/S790 (4):

Credit for tax paid under the law of the territory outside the United Kingdom and computed by reference to income arising or any chargeable gain accruing in that territory shall be allowed against any United Kingdom income tax or corporation tax computed by reference to that income or gain…’

The International Manual (INTM151000 and INTM161000) provides guidance on Double Taxation Relief.

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