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Contents

Official guidance
International Manual

INTM180000 · Double Taxation Relief: Foreign entity classification for UK tax purposes

  • INTM180010 · Foreign entity classification for UK tax purposes: Introduction
  • INTM180020 · Foreign entity classification for UK tax purposes: How HMRC arrives at a general view of foreign entities
  • INTM180030 · Foreign entity classification for UK tax purposes: List of classifications of foreign entities for UK tax purposes
  • INTM180040 · Foreign entity classification for UK tax purposes: How HMRC arrives at a definitive view of specific foreign entities
  • INTM180050 · Foreign entity classification for UK tax purposes: HMRC view of Delaware LLCs in light of Anson
  • INTM180060 · Foreign entity classification for UK tax purposes: Contacts and clearances
  1. Double Taxation Relief: Foreign entity classification for UK tax purposes: contents
  2. Foreign entity classification for UK tax purposes: Contacts and clearances

INTM180060 | Foreign entity classification for UK tax purposes: Contacts and clearances

From HM Revenue & Customs · International Manual

(This content has been withheld because of exemptions in the Freedom of Information Act 2000)

Contacts and Clearances

We will provide our view of whether we consider a particular foreign entity to be transparent or opaque in specific cases in line with our guidance on non-statutory clearances at - http://www.gov.uk/guidance/non-statutory-clearance-service-guidance

Applications should be made in writing and include -

  • the name and address of the entity to be considered

  • why HMRC’s view is being requested

  • consideration of factors 1 to 6 in INTM180020

  • if a view is required in respect of a particular source of income, your view of how that source is taxed in the UK

  • copies of any legislation, articles of association, by-laws, agreements or other documents governing the entity’s creation, continued existence and management, including any amending documents

Applications should be made by email to [email protected] or by post to:

HM Revenue and Customs
Business, Assets and International
Base Protection Policy Team
NE98 1ZZ

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