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Official guidance
International Manual

INTM225700 · Controlled Foreign Companies: Entity Exemptions: Chapter 13 - The Low Profit Margin Exemption

  • INTM225750 · Introduction
  • INTM225800 · The Basic Rule
  • INTM225850 · Anti-avoidance
  • INTM225900 · Example
  1. Controlled Foreign Companies: Entity Exemptions: Chapter 13 - The Low Profit Margin Exemption: contents
  2. Controlled Foreign Companies: Entity Exemptions: Chapter 13 - The Low Profit Margin Exemption: Anti-avoidance

INTM225850 | Controlled Foreign Companies: Entity Exemptions: Chapter 13 - The Low Profit Margin Exemption: Anti-avoidance

From HM Revenue & Customs · International Manual

TIOPA10/S371MC provides an anti-avoidance rule to prevent the exemption from applying where an arrangement is entered into which has a main purpose of securing that the exemption applies. The arrangement can have been entered into at any time.

“Arrangement” is widely defined. Further details of what is meant by an arrangement can be found at INTM248100.

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