Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
International Manual

INTM151000 · Double taxation: concept and principles: Table of contents

  • INTM151010 · Double taxation: concept and principles: UK and foreign legislation
  • INTM151020 · Double taxation: concept and principles: Chargeable gains
  • INTM151030 · Double taxation: concept and principles: Effect of double taxation
  • INTM151040 · Double taxation: concept and principles: Methods of relief
  • INTM151050 · Double taxation: concept and principles: UK enabling legislation - relief under double taxation agreements
  • INTM151060 · Double taxation: concept and principles: UK legislation - unilateral relief
  1. Double taxation: concept and principles: Table of contents
  2. Double taxation: concept and principles: UK enabling legislation - relief under double taxation agreements

INTM151050 | Double taxation: concept and principles: UK enabling legislation - relief under double taxation agreements

From HM Revenue & Customs · International Manual

TIOPA10/S6 provides that double taxation agreements made by the United Kingdom with any territory outside the United Kingdom shall have effect for the following purposes:

  1. for relief from Income Tax or Corporation Tax on income,

  2. for charging United Kingdom source income arising to non-residents,

  3. for determining the income to be attributed to non-residents and their branches etc. in the United Kingdom and to United Kingdom residents who have special relationships with non-residents, and

  4. for giving non-residents the right to a tax credit on distributions made by a United Kingdom resident company.

TIOPA10/S6 covers:

Income Tax and Corporation Tax in respect of income or chargeable gains, and also for:

  • Capital gains and Capital Gains Tax; and

  • Petroleum Revenue Tax.

Double taxation agreements made under Section 6 are of two kinds

  1. comprehensive agreements, which deal with income of all descriptions and capital gains, and

  2. limited agreements which only deal with shipping and/or air transport profits.

Double taxation agreements are incorporated as Schedules to Orders in Council and are published as Statutory Instruments. See INTM157020.

A more detailed description of the contents of a double taxation agreement is given in INTM153010 onwards. The full text of individual agreements along with a summary is provided at DT1200PP onwards. The text of the agreements which have most recently entered into force is to be found on the International internet site.

PreviousNext
PrivacyTerms