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Official guidance
International Manual

INTM164000 · Double Taxation Relief: UK residents with foreign income or gains - dividends

  • INTM164010 · UK residents with foreign income or gains: dividends: Foreign dividends - glossary
  • INTM164020 · UK residents with foreign income or gains: dividends: Dividend articles in double taxation agreements
  • INTM164030 · UK residents with foreign income or gains: dividends: EC Directive
  • INTM164040 · UK residents with foreign income or gains: dividends: Portfolio shareholders
  • INTM164050 · UK residents with foreign income or gains: dividends: Portfolio shareholders - exceptions
  • INTM164060 · UK residents with foreign income or gains: dividends: Direct investors - underlying tax
  • INTM164070 · UK residents with foreign income or gains: dividends: Tax deducted
  • INTM164080 · UK residents with foreign income or gains: dividends: Split rate taxes
  • INTM164090 · UK residents with foreign income or gains: dividends: Dividend stripping
  • INTM164100 · UK residents with foreign income or gains: dividends: Underlying tax
  • INTM164110 · UK residents with foreign income or gains: dividends: Underlying tax - rate boosting
  • INTM164120 · UK residents with foreign income or gains: dividends: Underlying tax - computation of relevant profits
  • INTM164130 · UK residents with foreign income or gains: dividends: Underlying tax - dividend resolutions
  • INTM164140 · UK residents with foreign income or gains: dividends: Underlying tax - minimising foreign tax paid
  • INTM164150 · UK residents with foreign income or gains: dividends: Underlying tax - groups taxed as a single entity overseas
  • INTM164151 · UK residents with foreign income or gains: dividends: Consolidated tax calculation - joiners and leavers
  • INTM164155 · UK residents with foreign income or gains: dividends: Tax deductions for dividends
  • INTM164156 · UK residents with foreign income or gains: dividends: Accounts deductions for dividends
  • INTM164160 · UK residents with foreign income or gains: dividends: Underlying tax: reserves
  • INTM164170 · UK residents with foreign income or gains: dividends: Underlying tax - pre-merger profits - dividends paid to the UK before 21 March 2000
  • INTM164180 · UK residents with foreign income or gains: dividends: Underlying tax - pre-merger profits - dividends paid to the UK on or after 21 March 2000
  • INTM164190 · UK residents with foreign income or gains: dividends: Underlying tax - imputation systems
  • INTM164200 · UK residents with foreign income or gains: dividends: Underlying tax - insurance companies
  • INTM164210 · UK residents with foreign income or gains: dividends: Dividends received by UK companies on or after 31 March 2001 - background and overview
  • INTM164215 · UK residents with foreign income or gains: dividends: Shares treated as loan relationships
  • INTM164220 · UK residents with foreign income or gains: dividends: Dividends received by UK companies on or after 31 March 2001 - the mixer cap
  • INTM164230 · UK residents with foreign income or gains: dividends: Dividends received by UK companies on or after 31 March 2001 - the mixer cap - examples and responsibility
  • INTM164235 · UK residents with foreign income or gains: dividends: Dividends received by UK companies on or after 2 December 2004 - the ADP mixer cap
  • INTM164240 · UK residents with foreign income or gains: dividends: Dividends received by UK companies on or after 31 March 2001 - eligible unrelieved foreign tax - overview
  • INTM164250 · UK residents with foreign income or gains: dividends: Dividends received by UK companies on or after 31 March 2001 - eligible unrelieved foreign tax - Case A
  • INTM164260 · UK residents with foreign income or gains: dividends: Dividends received by UK companies on or after 31 March 2001 - eligible unrelieved foreign tax - Case B
  • INTM164270 · UK residents with foreign income or gains: dividends: Dividends received by UK companies on or after 31 March 2001: onshore pooling
  • INTM164280 · UK residents with foreign income or gains: dividends: Dividends received by UK companies on or after 31 March 2001: ADP dividends
  • INTM164290 · UK residents with foreign income or gains: dividends: Dividends received by UK companies on or after 31 March 2001 - ADP dividends - example
  • INTM164300 · UK residents with foreign income or gains: dividends: Dividends received by UK companies on or after 31 March 2001 - dividends barred from on-shore pools
  • INTM164310 · UK residents with foreign income or gains: dividends: Dividends received by UK companies on or after 31 March 2001: eligible unrelieved foreign tax - order of carry back
  • INTM164320 · UK residents with foreign income or gains: dividends: Dividends received by UK companies on or after 31 March 2001: eligible unrelieved foreign tax - order of use
  • INTM164330 · UK residents with foreign income or gains: dividends: Dividends received by UK companies on or after 31 March 2001: eligible unrelieved foreign tax - group surrender
  • INTM164340 · UK residents with foreign income or gains: dividends: Dividends received by UK companies on or after 31 March 2001 - eligible unrelieved foreign tax - group surrender - dual-resident company
  • INTM164350 · UK residents with foreign income or gains: dividends: Unilateral relief - direct tax
  • INTM164360 · UK residents with foreign income or gains: dividends: Unilateral relief - underlying tax
  • INTM164370 · UK residents with foreign income or gains: dividends: Unilateral relief - underlying tax - chains of companies
  • INTM164380 · UK residents with foreign income or gains: dividends: Unilateral relief - banks
  • INTM164390 · UK residents with foreign income or gains: dividends: Unilateral relief - insurance companies
  • INTM164400 · UK residents with foreign income or gains: dividends
  • INTM164410 · UK residents with foreign income or gains: dividends: Determination of rates of foreign underlying tax - old agreements
  • INTM164420 · UK residents with foreign income or gains: dividends: Determination of rates of foreign underlying tax - 10% control cases
  • INTM164430 · UK residents with foreign income or gains: dividends: Determination of rates of foreign underlying tax - insurance companies
  • INTM164440 · UK residents with foreign income or gains: dividends: Determination of rates of foreign underlying tax - procedure
  • INTM164443 · UK residents with foreign income or gains: dividends: Determination of rates of foreign underlying tax - procedure - information requirements
  • INTM164450 · UK residents with foreign income or gains: dividends: Determination of rates of foreign underlying tax - UTG and CTSA
  • INTM164460 · UK residents with foreign income or gains: dividends: Determination of rates of foreign underlying tax - information provided by UTG
  • INTM164470 · UK residents with foreign income or gains: dividends: Determination of rates of foreign underlying tax - Foreign Income computations - dividends received on or after 31 March 2001
  • INTM164480 · UK residents with foreign income or gains: dividends: Determination of rates of foreign underlying tax - Case V computations - dividends received on or after 31 March 2001 with withholding tax
  • INTM164490 · UK residents with foreign income or gains: dividends: Determination of rates of foreign underlying tax - Foreign Income - standard cases - example
  • INTM164500 · UK residents with foreign income or gains: dividends: Determination of rates of foreign underlying tax - Foreign Income - inclusive rates - examples
  • INTM164510 · UK residents with foreign income or gains: dividends: Determination of rates of foreign underlying tax - Foreign Income - company tax deducted - example
  • INTM164515 · UK residents with foreign income or gains: dividends: Determination of rates of foreign underlying tax - Foreign Income - tax spared - example
  • INTM164520 · UK residents with foreign income or gains: dividends: Paying agents
  • INTM164530 · UK residents with foreign income or gains: dividends: Paying agents - provisional credit
  • INTM164540 · UK residents with foreign income or gains: dividends: Paying agents - examples
  1. Double Taxation Relief: UK residents with foreign income or gains - dividends: contents
  2. UK residents with foreign income or gains: dividends: Consolidated tax calculation - joiners and leavers

INTM164151 | UK residents with foreign income or gains: dividends: Consolidated tax calculation - joiners and leavers

From HM Revenue & Customs · International Manual

TIOPA10/S71 requires us to calculate the underlying rate as if all of the companies in the tax consolidation were a single company, provided they are also resident in the territory. If a company leaves the group, that raises the question of how the underlying rate should be calculated for the old and the new groups.

One way of approaching this problem is to remove the leaver from the original consolidation and take its profits and a proportion of the consolidated tax with it. This can be a suitable approach provided that the underlying rate for the original group is not altered by removing the leaver, and the total of dividends specified for any period does not exceed the aggregate relevant profit of the group in that period, taking into account all companies that were in the group at the time. In practice this means that:

  • Where a company that made a profit in a period subsequently leaves or joins a consolidated tax group, that company’s profits and tax should be removed from the original consolidated and added to the new consolidated group, taking with it the appropriate proportion of the consolidated tax. If the company does not join another consolidated tax group, those profits and that proportion of the consolidated tax can be treated as having been earned and paid by the company.

  • Where a loss-making company leaves or joins a consolidate tax group, that company’s loss should be removed from or added to the consolidated profits. No tax should be allocated to the loss.

If the leaver is taken into the new consolidation, this approach blends the leaver’s underlying rate with the underlying rate for the new group. As this facilitates the consolidated calculation for the new tax group, HMRC will normally accept this approximation.

Alternatively, the leaver may be left in the original tax consolidation for periods before it left the group. Therefore its underlying rate for that period remains the same as the rest of the original group and it is not merged with the new group. The total dividend specified for the period must not exceed the aggregate relevant profit for the period (in accordance with TIOPA10/S59) - in particular, if the leaver is a loss-maker, its loss will continue to be taken into account in calculating the aggregate relevant profit for the period.

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