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International Manual

INTM203500 · Controlled Foreign Companies: The CFC Charge Gateway Chapter 5 - Non-trading finance profits: Capital investment from the UK

  • INTM203510 · Relevant UK funds or other assets
  • INTM203520 · Example of capital investment from the UK- back to back investment via a third party
  • INTM203530 · Example of capital investment from the UK - loans out of profits previously subject to an apportionment
  • INTM203540 · Example of capital investment from the UK: compensating adjustment
  • INTM203550 · Example of capital investment from the UK - transfer of an asset in consideration for the cancellation of a liability
  • INTM203560 · Example of capital investment from the UK: Earlier contribution by the UK parent - trading profits
  • INTM203570 · Example of capital investment from the UK: Earlier contribution by the UK parent - interest profits
  • INTM203580 · Profits generated in overseas subsidiaries
  • INTM203590 · Establishing a clear factual link on source of funding
  • INTM203600 · UK connected company
  • INTM203610 · Profits pass through the CFC charge gateway once
  • INTM203620 · Management Fee Deduction
  1. Controlled Foreign Companies: The CFC Charge Gateway Chapter 5 - Non-trading finance profits: Capital investment from the UK: contents
  2. Controlled Foreign Companies: The CFC Charge Gateway Chapter 5 - Non-trading finance profits: Capital investment from the UK: Example of capital investment from the UK- back to back investment via a third party

INTM203520 | Controlled Foreign Companies: The CFC Charge Gateway Chapter 5 - Non-trading finance profits: Capital investment from the UK: Example of capital investment from the UK- back to back investment via a third party

From HM Revenue & Customs · International Manual

TIOPA10/S371EC(4)(a)

A UK resident group company deposits funds into a third party bank that makes the funds available as a facility for an overseas group subsidiary of the UK Group. The subsidiary draws down an amount on this facility and invests the amount in a financing CFC which uses the cash to make intra-group loans to other overseas CFCs. The non-trading finance profits arising on these loans will pass through the Chapter 5 charge gateway as the receivables held by the financing CFC derive from a capital contribution made indirectly by a UK connected company under TIOPA10/S371EC(4)(a).

For visual illustration view diagram showing the lending and funding flow

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