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Contents

Official guidance
International Manual

INTM210000 · Controlled Foreign Companies: The CFC charge gateway chapter 7 - captive insurance business

  • INTM210100 · Introduction
  • INTM210200 · Interaction with other chapters
  • INTM210300 · Basic rule
  • INTM210400 · Contracts of insurance falling within TIOPA10/S371GA(2)
  • INTM210500 · Interaction with transfer pricing
  • INTM210600 · INTM210600 - Controlled Foreign Companies: The CFC charge gateway chapter 7 - captive insurance business: exempt foreign permanent establishments
  • INTM210700 · Contracts of reinsurance - section 371GA(5)
  • INTM210800 · Captive insurance companies resident in an EEA state
  1. Controlled Foreign Companies: The CFC charge gateway chapter 7 - captive insurance business: contents
  2. Controlled Foreign Companies: The CFC charge gateway chapter 7 - captive insurance business: interaction with transfer pricing

INTM210500 | Controlled Foreign Companies: The CFC charge gateway chapter 7 - captive insurance business: interaction with transfer pricing

From HM Revenue & Customs · International Manual

Where a CFC has transactions with a UK connected person, that person when making their SA return must ensure the return reflects the arm’s length price of the transactions (where the person is subject to Part 4 TIOPA). While this is the case for any CFC, not just a captive insurance CFC, where you are considering an examination of a captive insurance CFC you should also consider whether a transfer pricing review should be carried out at the same time. Transfer pricing applies to the pricing of a contract of insurance with a UK connected company and to a contract of insurance with a UK resident who has bought goods or services from a UK company connected with the CFC (see INTM421040).

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