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Official guidance
International Manual

INTM216600 · Controlled Foreign Companies: The CFC charge gateway chapter 9 - exemptions for profits from qualifying loan relationships: scope of the rules

  • INTM216650 · Business premises condition
  • INTM216700 · General exclusions
  • INTM216750 · Loan relationship for chapter 9 purposes
  • INTM216800 · The chapter 9 claim
  • INTM216850 · Order of the chapter 9 claim
  • INTM216900 · Chapter 9 and double taxation relief
  1. Controlled Foreign Companies: The CFC charge gateway chapter 9 - exemptions for profits from qualifying loan relationships: contents
  2. Controlled Foreign Companies: The CFC charge gateway chapter 9 - exemptions for profits from qualifying loan relationships: scope of the rules: contents

INTM216600 | Controlled Foreign Companies: The CFC charge gateway chapter 9 - exemptions for profits from qualifying loan relationships: scope of the rules: contents

From HM Revenue & Customs · International Manual

TIOPA10/Part 9A/Ch 9/S371IA(1) introduces Chapter 9 which provides the rules for full and 75% exemption of certain non- trading finance profits (“NTFPs”) that might otherwise pass through the CFC charge gateway because they fall within Chapter 5. Chapter 9 only applies to profits that arise from qualifying loan relationships (“QLRs”) as defined at section 371IG and limited by section 371IH and where the business premises condition at section 371DG is met. Chapter 5 in contrast can apply to all NTFPs of the CFC.

Contents6 entries

  1. INTM216650Controlled Foreign Companies: The CFC charge gateway chapter 9 - exemptions for profits from qualifying loan relationships: scope of the rules: business premises condition
  2. INTM216700Controlled Foreign Companies: The CFC charge gateway chapter 9 - exemptions for profits from qualifying loan relationships: scope of the rules: general exclusions
  3. INTM216750Controlled Foreign Companies: The CFC charge gateway chapter 9 - exemptions for profits from qualifying loan relationships: scope of the rules: loan relationship for chapter 9 purposes
  4. INTM216800Controlled Foreign Companies: The CFC charge gateway chapter 9 - exemptions for profits from qualifying loan relationships: scope of the rules: the chapter 9 claim
  5. INTM216850Controlled Foreign Companies: The CFC charge gateway chapter 9 - exemptions for profits from qualifying loan relationships: scope of the rules: order of the chapter 9 claim
  6. INTM216900Controlled Foreign Companies: The CFC charge gateway chapter 9 - exemptions for profits from qualifying loan relationships: scope of the rules: chapter 9 and double taxation relief
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