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Official guidance
International Manual

INTM167000 · UK residents with foreign income or gains: corporation tax

  • INTM167010 · General
  • INTM167020 · Statutory provisions
  • INTM167030 · Chargeable gains
  • INTM167040 · Computation
  • INTM167050 · Chargeable gains: credit for foreign tax
  • INTM167060 · Limit of credit
  • INTM167070 · Accounting periods of more than one year
  • INTM167080 · Accounting periods ending on or after 3 June 1986 and on or before 5 April 1999; accounting periods beginning on or after 6 April 1999
  • INTM167090 · Apportion deductions
  • INTM167100 · Accounting periods ending on or after 3 June 1986 and on or before 5 April 1999; accounting periods beginning on or after 6 April 1999: charges
  • INTM167110 · Accounting periods ending on or after 3 June 1986 and on or before 5 April 1999; accounting periods beginning on or after 6 April 1999: ACT
  • INTM167120 · Loan relationships
  • INTM167130 · Loan relationships
  • INTM167140 · Non-trading loan relationships: pooling of credits and debits
  • INTM167150 · Loan relationships: grossing up of income and expense relief
  • INTM167160 · Loan relationships: matching of income and relief
  • INTM167170 · Loan relationships: provisional relief
  • INTM167180 · Loan relationships: mark to market [APs ending before 1 January 2005]
  • INTM167190 · Loan relationships: conversion to sterling
  • INTM167200 · Loan relationships: interest reflected in market value
  • INTM167210 · Loan relationships: apportionment of DTR
  • INTM167220 · Loan relationships: automatic relief
  • INTM167225 · Credits on non-trading loan relationships: limit on DTR
  • INTM167226 · Credits on non-trading loan relationships: limit on DTR - examples
  • INTM167230 · Loan relationships: credits on non-trading loan relationships
  • INTM167240 · Corporation tax: foreign tax credit relief: corporation tax: Loan relationships: examples
  • INTM167250 · Loan relationships: relief for foreign tax: identification of UK tax: Example 1
  • INTM167260 · Loan relationships: relief for foreign tax: identification of UK tax: Example 2
  • INTM167270 · Loan relationships: relief for foreign tax: identification of UK tax: Example 3
  • INTM167280 · Loan relationships: relief for foreign tax: identification of UK tax: Example 4
  • INTM167290 · Loan relationships: relief for foreign tax: identification of UK tax: Example 5
  • INTM167300 · Loan relationships: relief for foreign tax: identification of UK tax: Example 6
  • INTM167310 · Loan relationships - relief for foreign tax - identification of UK tax - Example 7
  • INTM167320 · Loan relationships: relief for foreign tax: identification of UK tax: Example 8
  • INTM167330 · Foreign branch
  • INTM167340 · Losses
  • INTM167350 · ACT and charges: examples (ACT abolished for accounting periods ending after 5 April 1999)
  • INTM167360 · Dividends: withholding tax
  • INTM167370 · Dividends: underlying tax
  • INTM167380 · Dividends: extension of relief
  • INTM167390 · Dividends: extension of relief - UK subsidiaries
  • INTM167400 · Dividends: control: related companies
  • INTM167410 · Dividends: subsidiaries entitled to underlying tax relief
  • INTM167420 · Dividends: portfolio investors entitled to underlying tax: ESC/C1
  • INTM167430 · Dividends: voting power reduced after 1st April 1972: extension of unilateral relief
  • INTM167440 · Foreign life fund
  • INTM167450 · General insurance
  • INTM167460 · Controlled foreign companies: Bricom Holdings Ltd v CIR
  • INTM167470 · Intangible fixed assets
  • INTM167475 · Intangible fixed assets: Non-trading items: Limit on relief
  • INTM167476 · Intangible fixed assets: Non-trading items: Limit on relief - examples
  • INTM167480 · Intangible fixed assets: examples
  1. UK residents with foreign income or gains: corporation tax: contents
  2. UK residents with foreign income or gains: corporation tax: Loan relationships: relief for foreign tax: identification of UK tax: Example 1

INTM167250 | UK residents with foreign income or gains: corporation tax: Loan relationships: relief for foreign tax: identification of UK tax: Example 1

From HM Revenue & Customs · International Manual

The profit exceeds the amount of the credits relating to interest which has suffered foreign tax:

A company has a profit of £1,000 after taking account of credits of £500 relating to interest which has suffered foreign tax (see note (i) below), credits of £600 relating to interest which has not suffered foreign tax, other credits of £800 and debits of £900.

For the purpose of allowing credit relief in respect of the foreign interest of £500 the computation is restated to show UK tax chargeable on the credits of £500 + £600 + £800 and to show separately debits of £900 which are then treated as available to be set against profits of any description for that accounting period under TIOPA10/S52. Taking account of other profits for the accounting period the result would be as follows:

-TradeLoan Relationships-Property IncomeForeign dividendTotal
Profits2,0001,000-5001,0004,500
Restated asTradeLoan Relationships (i)Other Loan relationshipsProperty IncomeForeign dividendTotal
Profits2,0005001,4005001,0005,400
less Loan Relationship debits (ii)--(900)--(900)
-2,0005005005001,0004,500

Notes:

i) the loan relationship credits relating to interest which has suffered foreign tax are kept separate from the other loan relationship credits and from the loan relationship debits. This enables Corporation Tax to be calculated by reference to the amount of £500 and the foreign tax can then be credited against that Corporation Tax. If the amount of £500 is made up of a number of interest credits which have suffered foreign tax at different rates it will be necessary to show each credit separately so that relief for the foreign tax is calculated item by item.

ii) the loan relationship debits may be set against profits of any description (not necessarily against loan relationship credits in priority to other profits); and different amounts of the debits may be set against different profits. In this example the company does not set any part of the debits against the trade profits or the foreign dividend which may themselves have suffered foreign tax.

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