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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: Dividends received by UK companies on or after 31 March 2001: onshore pooling

INTM164270 | UK residents with foreign income or gains: dividends: Dividends received by UK companies on or after 31 March 2001: onshore pooling

From HM Revenue & Customs · International Manual

The legislation relating to onshore pooling was repealed for distributions paid on or after 1 July 2009.

Qualifying foreign dividends (‘QFDs’) received in the UK on or after 31 March 2001 can be pooled. These are defined in ICTA88/S806C as any Case V dividends except :

  • Those treated as trading income;

  • Those arising from ‘bought-in’ tax schemes caught by Section 801A;

  • Those limited by Section 803;

  • Where the foreign tax is treated as a deduction under Section 811;

  • ADP dividends paid by a CFC;

  • As much of any dividend which represents an ADP dividend paid by a CFC;

  • Those giving rise to EUFT.

The broad purpose is to pool low taxed dividends and then utilise excess unrelievable foreign tax arising on high tax dividends against these.

In many cases, low-taxed dividends will have been mixed with high-taxed ones through a mixer. When the mixer cap is applied, there will now be some UK tax liability - (see INTM164210). The dividend cannot be split to enable this part of it to be a QFD.

There are two sorts of QFD:

  • Related QFDs paid by a related company;

  • Unrelated QFDs from all other companies.

For the purposes of giving credit relief, four totals for the accounting period are calculated;

  1. Related QFDs;

  2. Unrelated QFDs;

  3. Underlying tax on related QFDs;

  4. Other taxes (i.e. withholding) on both related and unrelated QFDs.

Credit relief is then given as if each total above were only single dividends and single amounts of tax respectively. (c) is allowed against UK tax arising on (a) and (d) is allowed against UK tax arising on (a) or (b) or both.

A related company is defined in Section 806J. The UK recipient must be entitled to relief for underlying tax in respect of it: broadly this is where it controls 10% of the voting power. The companies must be related at the time the dividend is paid.

Example

UK company receives the following dividends from overseas companies, all of whom are in different countries:

CompanyDetailsDividendQFD?
A100% sub55 after 45 underlying taxNo: EUFT will arise
B100% sub80 after 20 underlying tax. 8 w/h tax also paidRelated QFD
C20% sub140, made up of dividends received of 60 (40 underlying) and 80 (20 underlying)No: EUFT will arise
D100% subCFC: ADP dividend 95, underlying tax 5No: ADP dividend
E100% sub185, partly ADP dividend 95 with underlying tax 5, partly non-ADP dividend from trading subsidiary of 90 with underlying tax of 10The residual dividend of 90 only is a related QFD.
F1% holding200, w/h tax 30Unrelated QFD
G1% holding50, w/h tax 10Unrelated QFD

Related QFDs are 80 from B plus 90 from E, making a single related QFD of 170.

  1. Unrelated QFDs are 200 from F and 50 from G making a single unrelated QFD of 250.

  2. Underlying tax from related QFDs is 20 from B plus 10 from E making 30 in total that can be treated as if it has arisen in respect of (a)

  3. Other taxes are 8 from B, 30 from F and 10 from G making aggregated withholding tax of 50 that can be treated as if it has arisen in respect of (a) or (b) or both.

The object is to keep separate dividends that can obtain credit for underlying tax from those that cannot. Whilst withholding tax may be credited against either pool, underlying tax may only be credited against the Single Related Qualifying Dividend.

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