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Official guidance
International Manual

INTM218100 · Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: How do you determine the profits of a Qualifying Loan Relationship

  • INTM218150 · The five step calculation
  • INTM218200 · FOREX gains and losses
  • INTM218250 · Finance Expenses
  • INTM218300 · Calculating profits of Qualifying Loan Relationships
  • INTM218350 · Other deductions
  • INTM218400 · Qualifying Loan Relationship (QLR) Loss
  • INTM218450 · Calculation in the case of a Qualifying Loan
  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: How do you determine the profits of a Qualifying Loan Relationship: contents

INTM218100 | Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: How do you determine the profits of a Qualifying Loan Relationship: contents

From HM Revenue & Customs · International Manual

If the CFC was a UK resident company, its credits and debits from all its non-trading loan relationships would be aggregated to form a total figure of a non-trading profit or a non-trading deficit. This is how the assumed total profits of the CFC are calculated for the purposes of TIOPA10/Part 9A/Chapter 5. However a CFC may have a number of non-trading loan relationships, and not all of these may be qualifying loan relationships (“QLRs” - INTM217000). So it is necessary to separate the non trading finance profits (“NTFPs” - INTM203000) of a CFC which are subject to a claim under Chapter 9 as they arise from QLRs from the rest of the assumed total profits of the CFC. This is provided by section 371IF which sets out the steps to be followed to calculate the profits of each QLR. These profits will either be exempted under the various parts of Chapter 9, or will pass through the CFC charge gateway at Chapter 5.

Contents7 entries

  1. INTM218150Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: How do you determine the profits of a Qualifying Loan Relationship: The five step calculation
  2. INTM218200Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: How do you determine the profits of a Qualifying Loan Relationship: FOREX gains and losses
  3. INTM218250Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: How do you determine the profits of a Qualifying Loan Relationship: Finance Expenses
  4. INTM218300Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: How do you determine the profits of a Qualifying Loan Relationship: Calculating profits of Qualifying Loan Relationships
  5. INTM218350Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: How do you determine the profits of a Qualifying Loan Relationship: Other deductions
  6. INTM218400Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: How do you determine the profits of a Qualifying Loan Relationship: Qualifying Loan Relationship (QLR) Loss
  7. INTM218450Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: How do you determine the profits of a Qualifying Loan Relationship: Calculation in the case of a Qualifying Loan
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