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Official guidance
International Manual

INTM218750 · Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: Full Exemption - Qualifying Resources: What are Qualifying Resources?

  • INTM218760 · Categories of Qualifying Resource
  • INTM218770 · Profits from lending to the territory
  • INTM218800 · Funds derived from shares
  • INTM218850 · Evidence Required
  1. Controlled 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. Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: Full Exemption - Qualifying Resources: What are Qualifying Resources?: Categories of Qualifying Resource

INTM218760 | Controlled Foreign Companies: The CFC Charge Gateway Chapter 9 - Exemptions for profits from Qualifying Loan Relationships: Full Exemption - Qualifying Resources: What are Qualifying Resources?: Categories of Qualifying Resource

From HM Revenue & Customs · International Manual

This is the first section to consider when determining if resources are qualifying resources. Two types of qualifying resource are identified by this subsection:

Funds derived from shares may arise from shares held by the CFC in group companies, or from shares issued by the CFC to group companies.

Funds derived from shares are subject to conditions in TIOPA10/Part 9A/S371IB(7) and are qualifying resources only if they meet the further conditions in that subsection.

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