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Official guidance
International Manual

INTM161000 · Double Taxation Relief: UK residents with foreign income or gains: double taxation relief

  • INTM161010 · UK residents with foreign income or gains: double taxation relief: General
  • INTM161020 · UK residents with foreign income or gains: double taxation relief: Relief under double taxation agreement
  • INTM161030 · UK residents with foreign income or gains: double taxation relief: Unilateral relief
  • INTM161040 · UK residents with foreign income or gains: double taxation relief: Same income
  • INTM161050 · UK residents with foreign income or gains: double taxation relief: Deduction instead of credit
  • INTM161060 · UK residents with foreign income or gains: double taxation relief: Deduction instead of credit: FA94/SCH20
  • INTM161070 · UK residents with foreign income or gains: double taxation relief: Withdrawal of credit claims
  • INTM161080 · UK residents with foreign income or gains: double taxation relief: Deduction for taxes
  • INTM161085 · UK residents with foreign income or gains: double taxation relief: Deduction for taxes (amount brought into account)
  • INTM161090 · UK residents with foreign income or gains: double taxation relief: Credit or deduction
  • INTM161100 · UK residents with foreign income or gains: double taxation relief: Basic principles
  • INTM161110 · UK residents with foreign income or gains: double taxation relief: The source rule
  • INTM161120 · UK residents with foreign income or gains: double taxation relief: Exceptions to the source rule
  • INTM161130 · UK residents with foreign income or gains: double taxation relief: The source rule - concessions
  • INTM161140 · UK residents with foreign income or gains: double taxation relief: Definitions - root income basis, statutory income basis
  • INTM161150 · UK residents with foreign income or gains: double taxation relief: Repayment, carry forward
  • INTM161160 · UK residents with foreign income or gains: double taxation relief: ‘Root income’ basis - legal position
  • INTM161170 · UK residents with foreign income or gains: double taxation relief: ‘Root income’ basis - practice
  • INTM161180 · UK residents with foreign income or gains: double taxation relief: Statutory income basis
  • INTM161190 · UK residents with foreign income or gains: double taxation relief: ICTA88/S794
  • INTM161200 · UK residents with foreign income or gains: double taxation relief: ICTA88/S794 - exceptions
  • INTM161210 · UK residents with foreign income or gains: double taxation relief: Limit to amount of tax credit relief
  • INTM161220 · UK residents with foreign income or gains: double taxation relief: Foreign tax
  • INTM161230 · UK residents with foreign income or gains: double taxation relief: Overseas branches
  • INTM161240 · UK residents with foreign income or gains: double taxation relief: Measure of income
  • INTM161250 · UK residents with foreign income or gains: double taxation relief: Minimum foreign tax
  • INTM161260 · UK residents with foreign income or gains: double taxation relief: Taxes covered
  • INTM161270 · UK residents with foreign income or gains: double taxation relief: ‘Tax spared’ credit
  • INTM161280 · UK residents with foreign income or gains: double taxation relief: Computation of UK measure - tax spared
  • INTM161290 · UK residents with foreign income or gains: double taxation relief: Referrals and reports to CSTD Business, Assets & International
  • INTM161300 · UK residents with foreign income or gains: double taxation relief: Unilateral relief
  • INTM161310 · UK residents with foreign income or gains: double taxation relief: Lists of qualifying taxes
  • INTM161320 · UK residents with foreign income or gains: double taxation relief: Corresponding adjustments and the alternative method
  1. Double Taxation Relief: UK residents with foreign income or gains: double taxation relief: contents
  2. UK residents with foreign income or gains: double taxation relief: Overseas branches

INTM161230 | UK residents with foreign income or gains: double taxation relief: Overseas branches

From HM Revenue & Customs · International Manual

Before it was amended by FA 2011, TIOPA10/S43 applied the permanent establishment (PE) provisions of Chapter 4, Part 2 CTA 09 (previously ICTA88/S11AA) in determining for the purposes of S42(2) how much of a UK resident company’s chargeable profits was attributable to an overseas PE of the company. This replicated the treatment of UK branches of non-resident companies, including the attribution of capital (see INTM267120+), for overseas branches of UK companies for the purposes of calculating the UK measure of profits for DTR purposes

See INTM281000 for detail on the approach under TIOPA10/S43 as amended by FA 2011.

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