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Contents

Official guidance
International Manual

INTM170000 · Double Taxation Relief: Anti avoidance legislation

  • INTM170010 · Outline
  • INTM170020 · Scope
  • INTM170030 · Trigger conditions
  • INTM170040 · Circumstances which can cause the legislation to take effect
  • INTM170050 · Effect of legislation
  • INTM170060 · Notices
  • INTM170070 · Procedure for notices
  • INTM170080 · Disputes
  • INTM170090 · Discovery notices
  • INTM170100 · Double Taxation Relief: Anti avoidance legislation Penalties
  • INTM170110 · Clearances
  • INTM170120 · General clearances
  • INTM170130 · Underlying tax
  • INTM170140 · Commencement
  1. Double Taxation Relief: Anti avoidance legislation: contents
  2. Double Taxation Relief: Anti avoidance legislation: Underlying tax

INTM170130 | Double Taxation Relief: Anti avoidance legislation: Underlying tax

From HM Revenue & Customs · International Manual

Many aspects of underlying tax relief are outside the scope of the legislation:

  • the operation of onshore pooling rules

  • the limitation imposed by the mixer cap

  • the question of the amount of foreign tax that is properly attributable to a dividend.

The legislation will apply in the following situation:

  • a company makes a return that includes underlying tax credit

  • the credit results, directly or indirectly, from the payment of tax by a foreign company

  • if that foreign company had been UK resident and had made a tax return that included credit for the foreign tax, the legislation would have applied to that company.

If all of the above apply, the legislation will reduce the underlying tax credit in line with the reduction that would have applied to the foreign company, if the legislation had applied to it.

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