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Official guidance
International Manual

INTM217300 · Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: What is Excluded from the definition of a Qualifying Loan Relationship

  • INTM217350 · Section 371IH(1)
  • INTM217400 · Section 371IH(2)
  • INTM217450 · Section 371IH(3)
  • INTM217500 · Section 371IH(5)(6)&(7)
  • INTM217550 · Section 371IH(7)(8)&(9)
  • INTM217600 · Section 371IH(9A) to (9E)
  • INTM217850 · Section 371IH(10)&(11)
  1. Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: What is Excluded from the definition of a Qualifying Loan Relationship: contents
  2. Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: What is Excluded from the definition of a Qualifying Loan Relationship: Section 371IH(1)

INTM217350 | Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: What is Excluded from the definition of a Qualifying Loan Relationship: Section 371IH(1)

From HM Revenue & Customs · International Manual

Section 371IH(1)

TIOPA10/Part 9A/S371IH(1) sets out the circumstances under which a loan relationship cannot be a qualifying loan relationship (“QLR” - INTM217000) where the ultimate debtor is a non-UK resident connected company. These are where some or all of the borrower’s debits are being taken into account for the purposes of determining the profits attributable to:

  • a UK permanent establishment of the ultimate debtor under Part 2 of CTA 2009, or

  • a UK property business of the ultimate debtor under Part 3 of ITTOIA 2005.

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