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Official guidance
International Manual
  • INTM050000 · Data protection
  • INTM100000 · International Manual
  • INTM120000 · Company residence
  • INTM150000 · Principles of Double Taxation Relief and Introduction to Double Taxation Agreements
  • INTM160000 · Double Taxation Relief
  • INTM190000 · Controlled Foreign Companies
  • INTM260000 · Non-residents trading in the UK
  • INTM280000 · Foreign Permanent Establishments of UK Companies
  • INTM330000 · Double Taxation applications and claims
  • INTM370000 · The Non-resident Landlords Scheme
  • INTM400000 · Interest and Royalty Payments
  • INTM410000 · Transfer pricing guidance
  • INTM420000 · Transfer Pricing: Methodologies: Introduction
  • INTM440000 · Transfer pricing: Types of transactions: contents
  • INTM441000 · Transfer Pricing: Transactions and Structures: Business Structures
  • INTM450000 · Transfer pricing records
  • INTM480000 · Transfer Pricing: Operational guidance
  • INTM489100 · Transfer Pricing - Unassessed Transfer Pricing Profits
  • INTM489500 · Diverted Profits Tax: contents
  • INTM500000 · Intra- group funding - Group finance companies and the treasury function
  • INTM510000 · Thin capitalisation: practical guidance - contents
  • INTM550000 · Hybrids
  • INTM590000 · Arbitrage: legislation and principles - Contents
  • INTM597000 · Arbitrage: practical guidance
  • INTM600000 · Transfer of assets abroad
  • INTM610000 · Contents: Profit Fragmentation Rules
  • INTM620000 · Offshore Receipts in Respect of Intangible Property
  • INTM630000 · Royalty Withholding
  • INTM650000 · Distribution exemption
  • INTM700000 · International movements of capital
  • INTM800000 · Technical guidance for Swiss/UK Tax Cooperation Agreement
  • INTM860000 · Immunities and Privileges
  • INTM155010 · Sovereign and crown immunity
  • INTM162630 · Enquiries into Claims
  • INTM205260 · Controlled Foreign Companies: exemptions - Exempt Activities Test ('EAT'): Repeal of exemptions for superior and non-local holding companies: overview
  • INTM205270 · Controlled Foreign Companies: exemptions - Exempt Activities Test: Repeal of exemptions for superior and non-local holding companies: commencement and treatment of straddling periods
  • INTM205280 · Controlled Foreign Companies: exemptions - Exempt Activities Test ('EAT'): Repeal of exemptions for superior and non-local holding companies: treatment of qualifying holding companies during transitional period
  • INTM217010 · Controlled Foreign Companies: guidance relating to superseded legislation
  • INTM217020 · Controlled Foreign Companies: guidance relating to superseded legislation
  • INTM217030 · Controlled Foreign Companies: guidance relating to superseded legislation
  • INTM217040 · Controlled Foreign Companies: guidance relating to superseded legislation
  • INTM217060 · Controlled Foreign Companies: guidance relating to superseded legislation
  • INTM262010 · Non-residents trading in the UK: domestic charging provisions: Introduction
  • INTM262020 · Non-residents trading in the UK: domestic charging provisions: UK legislation
  • INTM262030 · Non-residents trading in the UK: domestic charging provisions: Income Tax charge
  • INTM262040 · Non-residents trading in the UK: domestic charging provisions: Corporate Tax charge
  • INTM263000 · Non-residents trading in the UK
  • INTM264010 · Non-residents trading in the UK: domestic law permanent establishment/branch or agency
  • INTM264020 · Non-residents trading in the UK: domestic law permanent establishment/branch or agency
  • INTM264030 · Non-residents trading in the UK: domestic law permanent establishment/branch or agency
  • INTM264040 · Non-residents trading in the UK: domestic law permanent establishment/branch or agency
  • INTM264050 · Non-residents trading in the UK: domestic law permanent establishment/branch or agency
  • INTM264060 · Non-residents trading in the UK: domestic law permanent establishment/branch or agency
  • INTM264070 · Non-residents trading in the UK: domestic law permanent establishment/branch or agency
  • INTM264080 · Non-residents trading in the UK: domestic law permanent establishment/branch or agency
  • INTM264090 · Non-residents trading in the UK: domestic law permanent establishment/branch or agency
  • INTM264110 · Non-residents trading in the UK: domestic law permanent establishment/branch or agency
  • INTM265000 · Non-residents trading in the UK: Treaty law could potentially affect the UK domestic charge to tax
  • INTM266000 · Non-residents trading in the UK: Treaty permanent establishment
  • INTM268500 · Non-residents trading in the UK: Returns and assessments outside normal time limits
  • INTM345900 · DT Agreements: Australia - Income from a UK source paid to a resident of Australia
  • INTM345905 · DT Agreements: Australia - Income from a UK source paid to a resident of Australia
  • INTM345910 · DT Agreements: Australia - Income from a UK source paid to a resident of Australia
  • INTM345915 · DT Agreements: Australia - Income from a UK source paid to a resident of Australia
  • INTM345920 · DT Agreements: Australia - Income from a UK source paid to a resident of Australia
  • INTM345925 · DT Agreements: Australia - Income from a UK source paid to a resident of Australia
  • INTM345930 · DT Agreements: Australia - Income from a UK source paid to a resident of Australia
  • INTM345935 · DT Agreements: Australia - Income from a UK source paid to a resident of Australia
  • INTM345940 · DT Agreements: Australia - Income from a UK source paid to a resident of Australia
  • INTM345945 · DT Agreements: Australia - Income from a UK source paid to a resident of Australia
  • INTM345950 · DT Agreements: Australia - Income from a UK source paid to a resident of Australia
  • INTM345955 · DT Agreements: Australia - Income from a UK source paid to a resident of Australia
  • INTM345960 · DT Agreements: Australia - Income from a UK source paid to a resident of Australia
  • INTM345965 · DT Agreements: Australia - Income from a UK source paid to a resident of Australia
  • INTM345970 · DT Agreements: Australia - Income from a UK source paid to a resident of Australia
  • INTM346000 · DT Agreements: Austria - Income from a UK source paid to a resident of Austria
  • INTM346001 · DT Agreements: Austria - Income from a UK source paid to a resident of Austria
  • INTM346002 · DT Agreements: Austria - Income form a UK source paid to a resident of Austria
  • INTM346003 · DT Agreements: Austria - Income from a UK source paid to a resident of Austria
  • INTM346004 · DT Agreements: Austria - Income from a UK source paid to a resident of Austria
  • INTM346005 · DT Agreements: Austria - Income from a UK source paid to a resident of Austria
  • INTM346006 · DT Agreements: Austria - Income from a UK source paid to a resident of Austria
  • INTM346008 · DT Agreements: Austria - Income from a UK source paid to a resident of Austria
  • INTM346009 · DT Agreements: Austria - Income from a UK source paid to a resident of Austria
  • INTM346010 · DT Agreements: Austria - Income from a UK source paid to a resident of Austria
  • INTM346011 · DT Agreements: Austria - Income from a UK source paid to a resident of Austria
  • INTM346012 · DT Agreements: Austria - Income from a UK source paid to a resident of Austria
  • INTM346950 · DT Agreements: British Virgin Islands - Income from a UK source paid to a resident of the British Virgin Islands (BVI)
  • INTM346951 · DT Agreements: British Virgin Islands - Income from a UK source paid to a resident of the British Virgin Islands (BVI)
  • INTM346952 · DT Agreements: British Virgin Islands - Income from a UK source paid to a resident of the British Virgin Islands (BVI)
  • INTM346953 · DT Agreements: British Virgin Islands - Income from a UK source paid to a resident of the British Virgin Islands (BVI)
  • INTM346954 · DT Agreements: British Virgin Islands - Income from a UK source paid to a resident of the British Virgin Islands (BVI)
  • INTM346955 · DT Agreements: British Virgin Islands - Income from a UK source paid to a resident of the British Virgin Islands (BVI)
  • INTM347350 · DT Agreements: Canada - Income from a UK source paid to resident of Canada
  • INTM347355 · DT Agreements: Canada - Income from a UK source paid to a resident of Canada
  • INTM347360 · DT Agreements: Canada - Income from a UK source paid to a resident of Canada
  • INTM347365 · DT Agreements: Canada - Income from a UK source paid to a resident of Canada
  • INTM347370 · DT Agreements: Canada - Income from a UK source paid to a resident of Canada
  • INTM347375 · DT Agreements: Canada - Income from a UK source paid to a resident of Canada
  • INTM347380 · DT Agreements: Canada - Income from a UK source paid to a resident of Canada
  • INTM347385 · DT Agreements: Canada - Income from a UK source paid to a resident of Canada
  • INTM347390 · DT Agreements: Canada - Income from a UK source paid to a resident of Canada
  • INTM347395 · DT Agreements: Canada - Income from a UK source paid to a resident of Canada
  • INTM347400 · DT Agreements: Canada - Income from a UK source paid to a resident of Canada
  • INTM347405 · DT Agreements: Canada - Income from a UK source paid to a resident of Canada
  • INTM347410 · DT Agreements: Canada - Income from a UK source paid to a resident of Canada
  • INTM347415 · DT Agreements: Canada - Income from a UK source paid to a resident of Canada
  • INTM347420 · DT Agreements: Canada - Income from a UK source paid to a resident of Canada
  • INTM347530 · DT Agreements: Cayman Islands: Income from a UK source paid to a resident of the Cayman Islands
  • INTM347531 · DT Agreements: Cayman Islands: Income from a UK source paid to a resident of the Cayman Islands - Application forms
  • INTM347532 · DT Agreements: Cayman Islands: Income from a UK source paid to a resident of the Cayman Islands - Double Taxation Agreement between the UK and the Cayman Islands
  • INTM347533 · DT Agreements: Cayman Islands: Income from a UK source paid to a resident of the Cayman Islands - UK pensions/annuities paid to a resident of the Cayman Islands
  • INTM347534 · DT Agreements: Cayman Islands: Income from a UK source paid to a resident of the Cayman Islands - Dividends, interest & royalties paid to a resident of the Cayman Islands
  • INTM347535 · DT Agreements: Cayman Islands: Income from a UK source paid to a resident of the Cayman Islands - UK personal allowances
  • INTM348000 · DT Agreements: Cyprus - Income from a UK source paid to a resident of Cyprus
  • INTM348010 · DT Agreements: Cyprus - Income from a UK source paid to a resident of Cyprus
  • INTM348020 · DT Agreements: Cyprus - Income from a UK source paid to a resident of Cyprus
  • INTM348030 · DT Agreements: Cyprus - Income from a UK source paid to a resident of Cyprus
  • INTM348040 · DT Agreements: Cyprus - Income from a UK source paid to a resident of Cyprus
  • INTM348050 · DT Agreements: Cyprus - Income from a UK source paid to a resident of Cyprus
  • INTM348060 · DT Agreements: Cyprus - Income from a UK source paid to a resident of Cyprus
  • INTM348070 · DT Agreements: Cyprus - Income from a UK source paid to a resident of Cyprus
  • INTM348080 · DT Agreements: Cyprus - Income from a UK source paid to a resident of Cyprus
  • INTM348090 · DT Agreements: Cyprus - Income from a UK source paid to a resident of Cyprus
  • INTM348100 · DT Agreements: Cyprus - Income from a UK source paid to a resident of Cyprus
  • INTM348110 · DT Agreements: Cyprus - Income from a UK source paid to a resident of Cyprus
  • INTM348120 · DT Agreements: Cyprus - Income from a UK source paid to a resident of Cyprus
  • INTM348130 · DT Agreements: Cyprus - Income from a UK source paid to a resident of Cyprus
  • INTM348140 · DT Agreements: Cyprus - Income from a UK source paid to a resident of Cyprus
  • INTM348150 · DT Agreements: Cyprus - Income from a UK source paid to a resident of Cyprus
  • INTM349000 · DT Agreements: Denmark - Income from a UK source paid to a resident of Denmark
  • INTM349010 · DT Agreements: Denmark - Income from a UK source paid to a resident of Denmark
  • INTM349020 · DT Agreements: Denmark - Income from a UK source paid to a resident of Denmark
  • INTM349030 · DT Agreements: Denmark - Income from a UK source paid to a resident of Denmark
  • INTM349040 · DT Agreements: Denmark - Income from a UK source paid to a resident of Denmark
  • INTM349050 · DT Agreements: Denmark - Income from a UK source paid to a resident of Denmark
  • INTM349060 · DT Agreements: Denmark - Income from a UK source paid to a resident of Denmark
  • INTM349070 · DT Agreements: Denmark - Income from a UK source paid to a resident of Denmark
  • INTM349080 · DT Agreements: Denmark - Income from a UK source paid to a resident of Denmark
  • INTM349090 · DT Agreements: Denmark - Income from a UK source paid to a resident of Denmark
  • INTM349100 · DT Agreements: Denmark - Income from a UK source paid to a resident of Denmark
  • INTM349110 · DT Agreements: Denmark - Income from a UK source paid to a resident of Denmark
  • INTM349120 · DT Agreements: Denmark - Income from a UK source paid to a resident of Denmark
  • INTM349130 · DT Agreements: Denmark - Income from a UK source paid to a resident of Denmark
  • INTM350300 · DT Agreements: Finland - Income from a UK source paid to a resident of Finland
  • INTM350310 · DT Agreements: Finland - Income from a UK source paid to a resident of Finland
  • INTM350320 · DT Agreements: Finland - Income from a UK source paid to a resident of Finland
  • INTM350330 · DT Agreements: Finland - Income from a UK source paid to a resident of Finland
  • INTM350340 · DT Agreements: Finland - Income from a UK source paid to a resident of Finland
  • INTM350350 · DT Agreements: Finland - Income from a UK source paid to a resident of Finland
  • INTM350360 · DT Agreements: Finland - Income from a UK source paid to a resident of Finland
  • INTM350370 · DT Agreements: Finland - Income from a UK source paid to a resident of Finland
  • INTM350380 · DT Agreements: Finland - Income from a UK source paid to a resident of Finland
  • INTM350390 · DT Agreements: Finland - Income from a UK source paid to a resident of Finland
  • INTM350400 · DT Agreements: Finland - Income from a UK source paid to a resident of Finland
  • INTM350410 · DT Agreements: Finland - Income from a UK source paid to a resident of Finland
  • INTM350420 · DT Agreements: Finland - Income from a UK source paid to a resident of Finland
  • INTM350430 · DT Agreements: Finland - Income from a UK source paid to a resident of Finland
  • INTM350500 · DT Agreements: France - Income from a UK source paid to a resident of France
  • INTM350510 · DT Agreements: France - Income from a UK source paid to a resident of France
  • INTM350520 · DT Agreements: France - Income from a UK source paid to a resident of France
  • INTM350530 · DT Agreements: France - Income from a UK source paid to a resident of France
  • INTM350540 · DT Agreements: France - Income from a UK source paid to a resident of France
  • INTM350550 · DT Agreements: France - Income from a UK source paid to a resident of France
  • INTM350560 · DT Agreements: France - Income from a UK source paid to a resident of France
  • INTM350570 · DT Agreements: France - Income from a UK source paid to a resident of France
  • INTM350580 · DT Agreements: France - Income from a UK source paid to a resident of France
  • INTM350590 · DT Agreements: France - Income from a UK source paid to a resident of France
  • INTM350600 · DT Agreements: France - Income from a UK source paid to a resident of France: UK dividends paid to a resident of France - portfolio investor
  • INTM350610 · DT Agreements: France - Income from a UK source paid to a resident of France
  • INTM350620 · DT Agreements: France - Income from a UK source paid to a resident of France
  • INTM350630 · DT Agreements: France - Income from a UK source paid to a resident of France: UK Government pensions paid to a resident of France
  • INTM350640 · DT Agreements: France - Income from a UK source paid to a resident of France
  • INTM350650 · DT Agreements: France - Income from a UK source paid to a resident of France
  • INTM350660 · DT Agreements: France - Income from a UK source paid to a resident of France
  • INTM351800 · DT Agreements: Germany - Income from a UK source paid to a resident of Germany
  • INTM351810 · DT Agreements: Germany - Income from a UK source paid to a resident of Germany
  • INTM351820 · DT Agreements: Germany - Income from a UK source paid to a resident of Germany
  • INTM351830 · DT Agreements: Germany - Income from a UK source paid to a resident of Germany
  • INTM351840 · DT Agreements: Germany - Income from a UK source paid to a resident of Germany
  • INTM351850 · DT Agreements: Germany - Income from a UK source paid to a resident of Germany
  • INTM351860 · DT Agreements: Germany - Income from a UK source paid to a resident of Germany
  • INTM351870 · DT Agreements: Germany - Income from a UK source paid to a resident of Germany
  • INTM351880 · DT Agreements: Germany - Income from a UK source paid to a resident of Germany
  • INTM351890 · DT Agreements: Germany - Income from a UK source paid to a resident of Germany
  • INTM351900 · DT Agreements: Germany - Income from a UK source paid to a resident of Germany
  • INTM351910 · DT Agreements: Germany - Income from a UK source paid to a resident of Germany
  • INTM351920 · DT Agreements: Germany - Income from a UK source paid to a resident of Germany
  • INTM351930 · DT Agreements: Germany - Income from a UK source paid to a resident of Germany
  • INTM351940 · DT Agreements: Germany - Income from a UK source paid to a resident of Germany
  • INTM352620 · DT Agreements: Guadeloupe - Income from a UK source paid to a resident of Guadeloupe
  • INTM352700 · Double Taxation Agreements: Guernsey: Income from a UK source paid to a resident of Guernsey
  • INTM352705 · Double Taxation Agreements: Guernsey: Income from a UK source paid to a resident of Guernsey - Country code
  • INTM352710 · Double Taxation Agreements: Guernsey: Income from a UK source paid to a resident of Guernsey - Application/claim forms
  • INTM352715 · Double Taxation Agreements: Guernsey: Income from a UK source paid to a resident of Guernsey - Double Taxation Agreements between the UK and Guernsey
  • INTM352720 · Double Taxation Agreements: Guernsey: Income from a UK source paid to a resident of Guernsey - Scope of the UK/Guernsey Double Taxation Arrangement
  • INTM352725 · Double Taxation Agreements: Guernsey: Income from a UK source paid to a resident of Guernsey - Industrial or commercial profits paragraph
  • INTM352730 · Double Taxation Agreements: Guernsey: Income from a UK source paid to a resident of Guernsey - UK government pensions
  • INTM352735 · Double Taxation Agreements: Guernsey: Income from a UK source paid to a resident of Guernsey - UK personal allowances
  • INTM352950 · DT agreements: Guyane (French Guyana) - Income from a UK source paid to a resident of Guyane (French Guyana)
  • INTM353030 · DT Agreements: Hong Kong - Income from a UK source paid to a resident of Hong Kong
  • INTM353031 · DT Agreements: Hong Kong - Income from a UK source paid to a resident of Hong Kong
  • INTM353032 · DT Agreements: Hong Kong - Income from a UK source paid to a resident of Hong Kong
  • INTM353033 · DT Agreements: Hong Kong - Income from a UK source paid to a resident of Hong Kong
  • INTM353034 · DT Agreements: Hong Kong - Income from a UK source paid to a resident of Hong Kong
  • INTM353035 · DT Agreements: Hong Kong - Income from a UK source paid to a resident of Hong Kong
  • INTM353036 · DT Agreements: Hong Kong - Income from a UK source paid to a resident of Hong Kong
  • INTM353037 · DT Agreements: Hong Kong - Income from a UK source paid to a resident of Hong Kong
  • INTM353038 · DT Agreements: Hong Kong - Income from a UK source paid to a resident of Hong Kong
  • INTM353039 · DT Agreements: Hong Kong - Income from a UK source paid to a resident of Hong Kong
  • INTM353040 · DT Agreements: Hong Kong - Income from a UK source paid to a resident of Hong Kong
  • INTM353150 · DT Agreements: Iceland - Income from a UK source paid to a resident of Iceland
  • INTM353155 · DT Agreements: Iceland - Income from a UK source paid to a resident of Iceland
  • INTM353160 · DT Agreements: Iceland - Income from a UK source paid to a resident of Iceland
  • INTM353165 · DT Agreements: Iceland - Income from a UK source paid to a resident of Iceland
  • INTM353170 · DT Agreements: Iceland - Income from a UK source paid to a resident of Iceland
  • INTM353175 · DT Agreements: Iceland - Income from a UK source paid to a resident of Iceland
  • INTM353180 · DT Agreements: Iceland - Income from a UK source paid to a resident of Iceland
  • INTM353185 · DT Agreements: Iceland - Income from a UK source paid to a resident of Iceland
  • INTM353190 · DT Agreements: Iceland - Income from a UK source paid to a resident of Iceland
  • INTM353195 · DT Agreements: Iceland - Income from a UK source paid to a resident of Iceland
  • INTM353200 · DT Agreements: Iceland - Income from a UK source paid to a resident of Iceland
  • INTM353205 · DT Agreements: Iceland - Income from a UK source paid to a resident of Iceland
  • INTM353210 · DT Agreements: Iceland - Income from a UK source paid to a resident of Iceland
  • INTM353215 · DT Agreements: Iceland - Income from a UK source paid to a resident of Iceland
  • INTM353220 · DT Agreements: Iceland - Income from a UK source paid to a resident of Iceland
  • INTM353255 · DT Agreements: India - Income from a UK source paid to a resident of India
  • INTM353260 · DT Agreements: India - Income from a UK source paid to a resident of India
  • INTM353265 · DT Agreements: India - Income from a UK source paid to a resident of India
  • INTM353270 · DT Agreements: India - Income from a UK source paid to a resident of India
  • INTM353275 · DT Agreements: India - Income from a UK source paid to a resident of India
  • INTM353280 · DT Agreements: India - Income from a UK source paid to a resident of India
  • INTM353285 · DT Agreements: India - Income from a UK source paid to a resident of India
  • INTM353290 · DT Agreements: India - Income from a UK source paid to a resident of India
  • INTM353295 · DT Agreements: India - Income from a UK source paid to a resident of India
  • INTM353300 · DT Agreements: India - Income from a UK source paid to a resident of India
  • INTM353305 · DT Agreements: India - Income from a UK source paid to a resident of India
  • INTM353500 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353505 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353510 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353515 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353520 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353525 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353530 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353535 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353540 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353545 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353550 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353555 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353560 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353565 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353570 · DT Agreements: Ireland - Income from a UK source paid to resident of Ireland
  • INTM353575 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353580 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353585 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353590 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353595 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353600 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM353605 · DT Agreements: Ireland - Income from a UK source paid to a resident of Ireland
  • INTM354500 · Double Taxation Agreements: Isle of Man: Income from a UK source paid to a resident of the Isle of Man - Contents
  • INTM354505 · Double Taxation Agreements: Isle of Man: Income from a UK source paid to a resident of the Isle of Man - Country code
  • INTM354510 · Double Taxation Agreements: Isle of Man: Income from a UK source paid to a resident of the Isle of Man - Application/claim forms
  • INTM354515 · Double Taxation Agreements: Isle of Man: Income from a UK source paid to a resident of the Isle of Man - Double Taxation Agreements between the UK and the Isle of Man
  • INTM354520 · Double Taxation Agreements: Isle of Man: Income from a UK source paid to a resident of the Isle of Man - Scope of the UK/Isle of Man Double Taxation Arrangement
  • INTM354525 · Double Taxation Agreements: Isle of Man: Income from a UK source paid to a resident of the Isle of Man - Industrial or commercial profits paragraph
  • INTM354530 · Double Taxation Agreements: Isle of Man: Income from a UK source paid to a resident of the Isle of Man - UK government pensions
  • INTM354535 · Double Taxation Agreements: Isle of Man: Income from a UK source paid to a resident of the Isle of Man - UK personal allowances
  • INTM354700 · DT Agreements: Italy - Income from a UK source paid to a resident of Italy
  • INTM354705 · DT Agreements: Italy - Income from a UK source paid to a resident of Italy
  • INTM354710 · DT Agreements: Italy - Income from a UK source paid to a resident of Italy
  • INTM354715 · DT Agreements: Italy - Income from a UK source paid to a resident of Italy
  • INTM354720 · DT Agreements: Italy - Income from a UK source paid to a resident of Italy
  • INTM354725 · DT Agreements: Italy - Income from a UK source paid to a resident of Italy
  • INTM354730 · DT Agreements: Italy - Income from a UK source paid to a resident of Italy
  • INTM354735 · DT Agreements: Italy - Income from a UK source paid to a resident of Italy
  • INTM354740 · DT Agreements: Italy - Income from a UK source paid to a resident of Italy
  • INTM354745 · DT Agreements: Italy - Income from a UK source paid to resident of Italy
  • INTM354750 · DT Agreements: Italy - Income from a UK source paid to a resident of Italy
  • INTM354755 · DT Agreements: Italy - Income from a UK source paid to a resident of Italy
  • INTM354760 · DT Agreements: Italy - Income from a UK source paid to a resident of Italy
  • INTM354765 · DT Agreements: Italy - Income from a UK source paid to a resident of Italy
  • INTM354900 · DT Agreements: Jamaica - Income from a UK source paid to a resident of Jamaica
  • INTM354905 · DT Agreements: Jamaica - Income from a UK source paid to a resident of Jamaica
  • INTM354910 · DT Agreements: Jamaica - Income from a UK source paid to a resident of Jamaica
  • INTM354915 · DT Agreements: Jamaica - Income from a UK source paid to a resident of Jamaica
  • INTM354920 · DT Agreements: Jamaica - Income from a UK source paid to a resident of Jamaica
  • INTM354925 · DT Agreements: Jamaica - Income from a UK source paid to a resident of Jamaica
  • INTM354930 · DT Agreements: Jamaica - Income from a UK source paid to a resident of Jamaica
  • INTM354935 · DT Agreements: Jamaica - Income from a UK source paid to a resident of Jamaica
  • INTM354940 · DT Agreements: Jamaica - Income from a UK source paid to a resident of Jamaica
  • INTM354945 · DT Agreements: Jamaica - Income from a UK source paid to a resident of Jamaica
  • INTM354950 · DT Agreements: Jamaica - Income from a UK source paid to a resident of Jamaica
  • INTM354955 · DT Agreements: Jamaica - Income from a UK source paid to a resident of Jamaica
  • INTM354960 · DT Agreements: Jamaica - Income from a UK source paid to a resident of Jamaica
  • INTM354965 · DT Agreements: Jamaica - Income from a UK source paid to a resident of Jamaica
  • INTM354970 · DT Agreements: Jamaica - Income from a UK source paid to a resident of Jamaica
  • INTM355000 · DT Agreements: Japan - Income from a UK source paid to a resident of Japan
  • INTM355010 · DT Agreements: Japan - Income from a UK source paid to a resident of Japan
  • INTM355020 · DT Agreements: Japan - Income from a UK source paid to a resident of Japan
  • INTM355030 · DT Agreements: Japan - Income from a UK source paid to a resident of Japan
  • INTM355060 · DT Agreements: Japan - Income from a UK source paid to a resident of Japan
  • INTM355070 · DT Agreements: Japan - Income from a UK source paid to a resident of Japan
  • INTM355080 · DT Agreements: Japan - Income from a UK source paid to a resident of Japan
  • INTM355090 · DT Agreements: Japan - Income from a UK source paid to a resident of Japan
  • INTM355100 · DT Agreements: Japan - Income from a UK source paid to a resident of Japan
  • INTM355110 · DT Agreements: Japan - Income from a UK source paid to a resident of Japan
  • INTM355120 · DT Agreements: Japan - Income from a UK source paid to a resident of Japan
  • INTM355130 · DT Agreements: Japan - Income from a UK source paid to a resident of Japan
  • INTM355140 · DT Agreements: Japan - Income from a UK source paid to a resident of Japan
  • INTM355150 · DT Agreements: Japan - Income from a UK source paid to a resident of Japan
  • INTM355160 · DT Agreements: Japan - Income from a UK source paid to a resident of Japan
  • INTM355200 · Double Taxation Agreements: Jersey: Income from a UK source paid to a resident of Jersey - Contents
  • INTM355205 · Double Taxation Agreements: Jersey: Income from a UK source paid to a resident of Jersey - Country code
  • INTM355210 · Double Taxation Agreements: Jersey: Income from a UK source paid to a resident of Jersey - Application/claim forms
  • INTM355215 · Double Taxation Agreements: Jersey: Income from a UK source paid to a resident of Jersey - Double taxation Agreements between the UK and Jersey
  • INTM355220 · Double Taxation Agreements: Jersey: Income from a UK source paid to a resident of Jersey - Scope of the UK/Jersey Double Taxation Arrangement
  • INTM355225 · Double Taxation Agreements: Jersey: Income from a UK source paid to a resident of Jersey - Industrial or commercial profits paragraph
  • INTM355230 · Double Taxation Agreements: Jersey: Income from a UK source paid to a resident of Jersey - UK government pensions
  • INTM355235 · Double Taxation Agreements: Jersey: Income from a UK source paid to a resident of Jersey - UK personal allowances
  • INTM356350 · DT Agreements: Luxembourg - Income from a UK source paid to a resident of Luxembourg
  • INTM356355 · DT Agreements: Luxembourg - Income from a UK source paid to a resident of Luxembourg
  • INTM356360 · DT Agreements: Luxembourg - Income from a UK source paid to a resident of Luxembourg
  • INTM356365 · DT Agreements: Luxembourg - Income from a UK source paid to a resident of Luxembourg
  • INTM356370 · DT Agreements: Luxembourg - Income from a UK source paid to a resident of Luxembourg
  • INTM356375 · DT Agreements: Luxembourg - Income from a UK source paid to a resident of Luxembourg
  • INTM356380 · DT Agreements: Luxembourg - Income from a UK source paid to a resident of Luxembourg
  • INTM356385 · DT Agreements: Luxembourg - Income from a UK source paid to a resident of Luxembourg
  • INTM356390 · DT Agreements: Luxembourg - Income from a UK source paid to a resident of Luxembourg
  • INTM356395 · DT Agreements: Luxembourg - Income from a UK source paid to a resident of Luxembourg
  • INTM356400 · DT Agreements: Luxembourg - Income from a UK source paid to a resident of Luxembourg
  • INTM356405 · DT Agreements: Luxembourg - Income from a UK source paid to a resident of Luxembourg
  • INTM356410 · DT Agreements: Luxembourg - Income from a UK source paid to a resident of Luxembourg
  • INTM356415 · DT Agreements: Luxembourg - Income from a UK source paid to a resident of Luxembourg
  • INTM356420 · DT Agreements: Luxembourg - Income from a UK source paid to a resident of Luxembourg
  • INTM357000 · DT Agreements: Malta - Income from a UK source paid to a resident of Malta
  • INTM357005 · DT Agreements: Malta - Income from a UK source paid to a resident of Malta
  • INTM357010 · DT Agreements: Malta - Income from a UK source paid to a resident of Malta
  • INTM357015 · DT Agreements: Malta - Income from a UK source paid to a resident of Malta
  • INTM357020 · DT Agreements: Malta - Income from a UK source paid to a resident of Malta
  • INTM357025 · DT Agreements: Malta - Income from a UK source paid to a resident of Malta
  • INTM357030 · DT Agreements: Malta - Income from a UK source paid to a resident of Malta
  • INTM357035 · DT Agreements: Malta - Income from a UK source paid to a resident of Malta
  • INTM357040 · DT Agreements: Malta - Income from a UK source paid to a resident of Malta
  • INTM357045 · DT Agreements: Malta - Income from a UK source paid to a resident of Malta
  • INTM357050 · DT Agreements: Malta - Income from a UK source paid to a resident of Malta
  • INTM357055 · DT Agreements: Malta - Income from a UK source paid to a resident of Malta
  • INTM357060 · DT Agreements: Malta - Income from a UK source paid to a resident of Malta
  • INTM357065 · DT Agreements: Malta - Income from a UK source paid to a resident of Malta
  • INTM357100 · DT agreements - Income from a UK source paid to a resident of Martinique
  • INTM358000 · DT Agreements: Netherlands - Income from a UK source paid to a resident of Netherlands
  • INTM358010 · DT Agreements: Netherlands - Income from a UK source paid to a resident of Netherlands
  • INTM358020 · DT Agreements: Netherlands - Income from a UK source paid to a resident of Netherlands
  • INTM358030 · DT Agreements: Netherlands - Income from a UK source paid to a resident of Netherlands
  • INTM358040 · DT Agreements: Netherlands - Income from a UK source paid to a resident of Netherlands
  • INTM358050 · DT Agreements: Netherlands - Income from a UK source paid to a resident of Netherlands
  • INTM358060 · DT Agreements: Netherlands - Income from a UK source paid to a resident of Netherlands
  • INTM358070 · DT Agreements: Netherlands - Income from a UK source paid to a resident of Netherlands
  • INTM358080 · DT Agreements: Netherlands - Income from a UK source paid to a resident of Netherlands
  • INTM358090 · DT Agreements: Netherlands - Income from a UK source paid to a resident of Netherlands
  • INTM358100 · DT Agreements: Netherlands - Income from a UK source paid to a resident of Netherlands
  • INTM358110 · DT Agreements: Netherlands - Income from a UK source paid to a resident of the Netherlands
  • INTM358120 · DT Agreements: Netherlands - Income from a UK source paid to a resident of Netherlands
  • INTM358130 · DT Agreements: Netherlands - Income from a UK source paid to a resident of Netherlands
  • INTM358650 · DT Agreements: New Zealand - Income from a UK source paid to a resident of New Zealand
  • INTM358660 · DT Agreements: New Zealand - Income from a UK source paid to a resident of New Zealand
  • INTM358670 · DT Agreements: New Zealand - Income from a UK source paid to a resident of New Zealand
  • INTM358680 · DT Agreements: New Zealand - Income from a UK source paid to a resident of New Zealand
  • INTM358690 · DT Agreements: New Zealand - Income from a UK source paid to a resident of New Zealand
  • INTM358700 · DT Agreements: New Zealand - Income from a UK source paid to a resident of New Zealand
  • INTM358710 · DT Agreements: New Zealand - Income from a UK source paid to a resident of New Zealand
  • INTM358720 · DT Agreements: New Zealand - Income from a UK source paid to a resident of New Zealand
  • INTM358730 · DT Agreements: New Zealand - Income from a UK source paid to a resident of New Zealand
  • INTM358740 · DT Agreements: New Zealand - Income from a UK source paid to a resident of New Zealand
  • INTM358750 · DT Agreements: New Zealand - Income from a UK source paid to a resident of New Zealand
  • INTM358760 · DT Agreements: New Zealand - Income from a UK source paid to a resident of New Zealand
  • INTM359000 · DT Agreements: Norway - Income from a UK source paid to a resident of Norway
  • INTM359005 · DT Agreements: Norway - Income from a UK source paid to a resident of Norway
  • INTM359010 · DT Agreements: Norway - Income from a UK source paid to a resident of Norway
  • INTM359015 · DT Agreements: Norway - Income from a UK source paid to a resident of Norway
  • INTM359020 · DT Agreements: Norway - Income from a UK source paid to a resident of Norway
  • INTM359025 · DT Agreements: Norway - Income from a UK source paid to a resident of Norway
  • INTM359030 · DT Agreements: Norway - Income from a UK source paid to a resident of Norway
  • INTM359035 · DT Agreements: Norway - Income from a UK source paid to a resident of Norway
  • INTM359040 · DT Agreements: Norway - Income from a UK source paid to a resident of Norway
  • INTM359045 · DT Agreements: Norway - Income from a UK source paid to a resident of Norway
  • INTM359050 · DT Agreements: Norway - Income from a UK source paid to a resident of Norway
  • INTM359055 · DT Agreements: Norway - Income from a UK source paid to a resident of Norway
  • INTM359060 · DT Agreements: Norway - Income from a UK source paid to a resident of Norway
  • INTM359065 · DT Agreements: Norway - Income from a UK source paid to a resident of Norway
  • INTM359070 · DT Agreements: Norway - Income from a UK source paid to a resident of Norway
  • INTM359200 · DT Agreements: Pakistan - Income from a UK source paid to a resident of Pakistan
  • INTM359205 · DT Agreements: Pakistan - Income from a UK source paid to a resident of Pakistan
  • INTM359210 · DT Agreements: Pakistan - Income from a UK source paid to a resident of Pakistan
  • INTM359215 · DT Agreements: Pakistan - Income from a UK source paid to a resident of Pakistan
  • INTM359220 · DT Agreements: Pakistan - Income from a UK source paid to a resident of Pakistan
  • INTM359225 · DT Agreements: Pakistan - Income from a UK source paid to a resident of Pakistan
  • INTM359230 · DT Agreements: Pakistan - Income from a UK source paid to a resident of Pakistan
  • INTM359235 · DT Agreements: Pakistan - Income from a UK source paid to a resident of Pakistan
  • INTM359240 · DT Agreements: Pakistan - Income from a UK source paid to a resident of Pakistan
  • INTM359245 · DT Agreements: Pakistan - Income from a UK source paid to a resident of Pakistan
  • INTM359250 · DT Agreements: Pakistan - Income from a UK source paid to a resident of Pakistan
  • INTM359255 · DT Agreements: Pakistan - Income from a UK source paid to a resident of Pakistan
  • INTM359260 · DT Agreements: Pakistan - Income from a UK source paid to a resident of Pakistan
  • INTM359265 · DT Agreements: Pakistan - Income from a UK source paid to a resident of Pakistan
  • INTM359700 · DT Agreements: Portugal - Income from a UK source paid to a resident of Portugal
  • INTM359710 · DT Agreements: Portugal - Income from a UK source paid to a resident of Portugal
  • INTM359720 · DT Agreements: Portugal - Income from a UK source paid to a resident of Portugal
  • INTM359730 · DT Agreements: Portugal - Income from a UK source paid to a resident of Portugal
  • INTM359740 · DT Agreements: Portugal - Income from a UK source paid to a resident of Portugal
  • INTM359750 · DT Agreements: Portugal - Income from a UK source paid to a resident of Portugal
  • INTM359760 · DT Agreements: Portugal - Income from a UK source paid to a resident of Portugal
  • INTM359770 · DT Agreements: Portugal - Income from a UK source paid to a resident of Portugal
  • INTM359780 · DT Agreements: Portugal - Income from a UK source paid to a resident of Portugal
  • INTM359790 · DT Agreements: Portugal - Income from a UK source paid to a resident of Portugal
  • INTM359800 · DT Agreements: Portugal - Income from a UK source paid to a resident of Portugal
  • INTM359810 · DT Agreements: Portugal - Income from a UK source paid to a resident of Portugal
  • INTM359820 · DT Agreements: Portugal - Income from a UK source paid to a resident of Portugal
  • INTM359830 · DT Agreements: Portugal - Income from a UK source paid to a resident of Portugal
  • INTM359840 · DT Agreements: Portugal - Income from a UK source paid to a resident of Portugal
  • INTM359850 · DT Agreements: Portugal - Income from a UK source paid to a resident of Portugal
  • INTM359880 · DT Agreements: Qatar - Income from a UK source paid to a resident of Qatar
  • INTM359881 · DT Agreements: Qatar - Income from a UK source paid to a resident of Qatar
  • INTM359882 · DT Agreements: Qatar - Income from a UK source paid to a resident of Qatar
  • INTM359883 · DT Agreements: Qatar - Income from a UK source paid to a resident of Qatar
  • INTM359884 · DT Agreements: Qatar - Income from a UK source paid to a resident of Qatar
  • INTM359885 · DT Agreements: Qatar - Income from a UK source paid to a resident of Qatar
  • INTM359886 · DT Agreements: Qatar - Income from a UK source paid to a resident of Qatar
  • INTM359887 · DT Agreements: Qatar - Income from a UK source paid to a resident of Qatar
  • INTM359888 · DT Agreements: Qatar - Income from a UK source paid to a resident of Qatar
  • INTM359889 · DT Agreements: Qatar - Income from a UK source paid to a resident of Qatar
  • INTM359890 · DT Agreements: Qatar - Income from a UK source paid to a resident of Qatar
  • INTM359891 · DT Agreements: Qatar - Income from a UK source paid to a resident of Qatar
  • INTM359892 · DT Agreements: Qatar - Income from a UK source paid to a resident of Qatar
  • INTM359893 · DT Agreements: Qatar - Income from a UK source paid to a resident of Qatar
  • INTM361000 · DT Agreements: South Africa - Income from a UK source paid to a resident of South Africa
  • INTM361010 · DT Agreements: South Africa - Income from a UK source paid to a resident of South Africa
  • INTM361020 · DT Agreements: South Africa - Income from a UK source paid to a resident of South Africa
  • INTM361030 · DT Agreements: South Africa - Income from a UK source paid to a resident of South Africa
  • INTM361040 · DT Agreements: South Africa - Income from a UK source paid to a resident of South Africa
  • INTM361050 · DT Agreements: South Africa - Income from a UK source paid to a resident of South Africa
  • INTM361060 · DT Agreements: South Africa - Income from a UK source paid to a resident of South Africa
  • INTM361070 · DT Agreements: South Africa - Income from a UK source paid to a resident of South Africa
  • INTM361080 · DT Agreements: South Africa - Income from a UK source paid to a resident of South Africa
  • INTM361090 · DT Agreements: South Africa - Income from a UK source paid to a resident of South Africa
  • INTM361100 · DT Agreements: South Africa - Income from a UK source paid to a resident of South Africa
  • INTM361110 · DT Agreements: South Africa - Income from a UK source paid to a resident of South Africa
  • INTM361120 · DT Agreements: South Africa - Income from a UK source paid to a resident of South Africa
  • INTM361140 · DT Agreements: South Africa - Income from a UK source paid to a resident of South Africa
  • INTM361500 · Double Taxation Agreements: Spain: Income from a UK source paid to a resident of Spain - Contents
  • INTM361510 · Double Taxation Agreements: Spain: Income from a UK source paid to a resident of Spain - Country code
  • INTM361520 · Double Taxation Agreements: Spain: Income from a UK source paid to a resident of Spain - Application/claim forms
  • INTM361530 · Double Taxation Agreements: Spain: Income from a UK source paid to a resident of Spain - Double Taxation Convention between the UK and Spain
  • INTM361540 · Double Taxation Agreements: Spain: Income from a UK source paid to a resident of Spain - UK interest paid to a resident of Spain (Article 11)
  • INTM361550 · Double Taxation Agreements: Spain: Income from a UK source paid to a resident of Spain - UK royalties paid to a resident of Spain (Article 12)
  • INTM361560 · Double Taxation Agreements: Spain: Income from a UK source paid to a resident of Spain - UK dividends paid to a resident of Spain (Article 10)
  • INTM361570 · Double Taxation Agreements: Spain: Income from a UK source paid to a resident of Spain - UK pensions and annuities paid to a resident of Spain (Article 18)
  • INTM361580 · Double Taxation Agreements: Spain: Income from a UK source paid to a resident of Spain - State Pension, Incapacity Benefit and DWP Financial Assistance Scheme payments
  • INTM361590 · Double Taxation Agreements: Spain: Income from a UK source paid to a resident of Spain - UK government pensions paid to a resident of Spain
  • INTM361600 · Double Taxation Agreements: Spain: Income from a UK source paid to a resident of Spain - Other income paid to a resident of Spain (Article 22)
  • INTM361610 · Double Taxation Agreements: Spain: Income from a UK source paid to a resident of Spain - Construction Industry Scheme: Permanent establishment provisions
  • INTM361620 · Double Taxation Agreements: Spain: Income from a UK source paid to a resident of Spain - UK personal allowances
  • INTM362500 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM362510 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM362520 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM362530 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM362540 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM362550 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM362560 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM362570 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM362580 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM362590 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM362600 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM362610 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM362620 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM362630 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM362640 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM362650 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM362660 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM362670 · DT Agreements: Switzerland - Income from a UK source paid to a resident of Switzerland
  • INTM368510 · DT applications and claims: Crown Immunity, Sovereign Immunity and Diplomatic Privilege
  • INTM368520 · DT applications and claims: Crown Immunity, Sovereign Immunity and Diplomatic Privilege
  • INTM368540 · DT applications and claims: Crown Immunity, Sovereign Immunity and Diplomatic Privilege
  • INTM420010 · Transfer pricing: methodologies: overview: OECD Guidelines: why is the Associated Enterprises Article (OECD Model Treaty Article 9) important?
  • INTM422150 · Transfer pricing: methodologies: Advance Pricing Agreements: sample agreement
  • INTM501070 · Intra-group funding: legislation and case law
  • INTM600010 · Transfer of assets abroad: introduction
  • INTM600020 · Transfer of assets abroad: Overview of ITA2007/Sections 721 and 727 (‘Income Charge’)
  • INTM600030 · Transfer of assets abroad ('Benefits Charge')
  • INTM600040 · Transfer of assets abroad: Overview of ITA2007/S736 - 742 - exemption from liability
  • INTM600050 · Transfer of assets abroad: mandatory referral to WMBC Assets, Edinburgh
  • INTM600060 · Transfer of assets abroad: checklist of indicators
  • INTM600070 · Transfer of assets abroad: what information is needed by WMBC Assets Edinburgh
  • INTM600080 · Transfer of assets abroad: Working transfer of assets enquiries with WMBC Edinburgh
  • INTM603670 · Transfer of assets abroad: 6 April 2025 non-UK domicile reforms: Benefits charge on onward gift recipients
  • INTM850000 · Hybrid and other mismatches
  • INTMUPDATE001 · International Manual: update index
  • INTMUPDATE100119 · International Manual: recent changes
  1. International Manual
  2. Controlled Foreign Companies: guidance relating to superseded legislation

INTM217020 | Controlled Foreign Companies: guidance relating to superseded legislation

From HM Revenue & Customs · International Manual

Acceptable Distribution Policy: distribution standard for accounting periods beginning before 28 November 1995

Distribution standard for non-trading companies {#}

For non-trading companies the distribution standard was 90% of the company’s available profits for accounting periods ended before 30 November 1993.

Distribution standard for trading companies {#}

For trading companies, the distribution standard was 50% of the available profits for periods beginning before 28 November 1995.

Definition of a trading company {#}

ICTA88/S756 (1)

For accounting periods of controlled foreign companies beginning before 28 November 1995 the distinction between trading and non-trading companies is necessary to ascertain the appropriate distribution standard. A company is a trading company if its business consists wholly or mainly of the carrying on of a trade(s).

In most cases it is clear whether a controlled foreign company is within this definition for an accounting period.

There are, however, exceptional cases where despite carrying on a trade the company cannot be regarded as a ‘trading company’. For example where income from non-trading sources is more than the gross receipts of the trade the business may not consist wholly or mainly of the carrying on of a trade.

Definition of available profits {#}

ICTA88/SCH25/Para2 (1)(d) and (2)

Where in an accounting period a trading company has no available profits it cannot pass the acceptable distribution test. This is because one of the criteria for the test is that there must be a distribution ‘of the company’s available profits’. Where this happens chargeable profits rarely exceed the de minimis threshold. However, where they do each case is considered on its merits. The Board will not usually make a direction if company has not reduced the amount available for distribution by manipulation of the profits which would have arisen in the course of its commercial activities.

These are the main steps to take to work out the ‘available profits’.

  • Identify the ‘relevant profits’ of the accounting period for the purposes of ICTA88/S799 – see discussion of capital profits below.

  • Then leave out any excess of capital profits over capital losses – see discussion of capital profits below.

  • It may be necessary to apportion the net result on a time basis. This will happen if the controlled foreign company’s accounting period is not the same as the period for which it makes up accounts.

The figure from the steps above is the amount of the ‘available profits’ of the accounting period. This amount may need to be adjusted in any of these circumstances:

The company pays a dividend that it says is out of dividends it has received from another controlled foreign company – see INTM254690.

The Board makes a declaration that the available profits of the accounting period should be taken as the chargeable profits – see discussion of Board’s declaration below.

Non-residents hold part of the share capital of the controlled foreign company – see INTM254710and following pages.

Relevant profits {#}

ICTA88/SCH25/Para3

The term ‘relevant profits’ is in ICTA88/S799, though that section does not define its meaning. The meaning was considered in Bowater Paper Corporation Ltd v Murgatroyd (46TC37). The court held that the term meant the commercial profits shown in a company’s accounts which it could legally distribute. It did not mean the profits as adjusted for tax purposes. To decide whether the company can legally distribute it is necessary to look at the law that applies to the company. This may not be United Kingdom law.

The following is a guide to help identify relevant profits:

  • Start with the commercial profits (including realised capital profits). These are for a period as shown in a company’s accounts. They are after deduction of any proper provision for tax liabilities.

  • The law which applies to the company may treat an amount as not available for distribution. In that case the amount is not included in relevant profits. For example, the law of some countries requires companies to transfer a part of their profits to a legal reserve, until the reserve reaches a prescribed amount.

  • Do not leave out an amount simply because the Company’s articles of association (or some similar rule) do not allow distribution.

  • A company may deduct profits or set them aside to use as a general reserve. It may also use profits to issue bonus shares. Profits dealt with in this way are relevant profits.

A provision against a future liability can be left out of relevant profits provided that

  • it is a proper deduction in working out commercial profits using accountancy principles,

  • there is a real prospect that the company will incur the liability, and

  • the amount directly relates to the foreseen amount of the liability.

A company may make a provision only for reasons of commercial prudence. This should be treated as available for distribution.

Unrealised profits or gains on exchange differences are normally not included. But they are included if they are in fact distributed or the company puts them to a general reserve that is distributable or if the company puts them in its retained profits account.

The above guidelines will not provide clear-cut answers in all cases. BusinessInternational: Outward Investment Team should be consulted if an Inspector has any problems in identifying relevant profits or agreeing the treatment of provisions.

Capital profits {#}

ICTA88/SCH25Para3 (1) and (4)

Capital profits’ are profits which arise on the disposal of assets and which are not included in working out the company’s profit or loss of an income nature.

Capital losses’ are interpreted in the same way.

Available profits are computed by taking from the relevant profits any excess of capital profits over capital losses. There is no adjustment for any excess of capital losses over capital profits.

TCGA92/S31 (1) makes a broad distinction between income and capital gains for the purpose of computing capital gains liabilities generally. ICTA88/SCH25/Para3 (4) does the same. There are some items which on first principles would be treated as capital. However, they are treated as income, however, because of a specific statutory provision such as ICTA88/S56 (transactions in deposits). In the same way such items are not treated them as capital for the purposes of ICTA88/SCH25/Para3 (4) and therefore are included in the computation of available profits.

There must be a disposal of assets. Capital profits arising from the revaluation of assets kept by the controlled foreign company are not deducted. In the same way profits arising from the revaluation of a liability are not deducted. This might happen, for example, when a company buys back a debenture. Such profits might be excluded from relevant profits anyway - see the discussion of relevant profits above.

Board’s declaration for non-trading companies {#}

ICTA88/SCH25/PARA3 (2)

Prior to FA96 interest was assessed on an arising basis but commercial profits were computed on an accruals basis. The aim of the rule in SCH25/PARA3 (2) was to stop people making use of these different bases.

Non-trading controlled foreign companies could manipulate their accounting dates for periods before 30 November 1993. This could make a big difference between the chargeable profits for a 12 month period and the dividend needed to meet the acceptable distribution test. This is why the Board could declare that a controlled foreign company’s available profits for the period were its chargeable profits. It could do this where the company had an accounting period of less than twelve months. In addition the company’s available profits for that period had to be less than its chargeable profits.

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