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Official guidance
International Manual

INTM218700 · Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: Full Exemption - Qualifying Resources

  • INTM218750 · What are Qualifying Resources?
  • INTM218950 · Claims for Qualifying Resources
  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: Full Exemption - Qualifying Resources: contents

INTM218700 | Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: Full Exemption - Qualifying Resources: contents

From HM Revenue & Customs · International Manual

Aim

The aim of the qualifying resources rule is to give full exemption for non-trading finance profits (NTFPs - INTM203000) of a qualifying loan relationship (“QLR” - INTM217000) that is funded in a way that places no demands on group resources outside the borrower’s own jurisdiction and falls within certain conditions outlined in the rules.

Qualifying sources of funding are broadly:

  • funding from group profits arising in the borrower’s territory;

  • funds raised by issuing shares from the group’s top company.

Note that each QLR is considered separately.

Contents2 entries

  1. INTM218750Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: Full Exemption - Qualifying Resources: What are Qualifying Resources?: contents
  2. INTM218950Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: Full Exemption - Qualifying Resources: Claims for Qualifying Resources
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