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Contents

Official guidance
International Manual

INTM230000 · Controlled Foreign Companies: Creditable Tax of a CFC

  • INTM230100 · Introduction
  • INTM230200 · Example
  • INTM230300 · Other matters
  1. Controlled Foreign Companies: contents
  2. Controlled Foreign Companies: Creditable Tax of a CFC: contents

INTM230000 | Controlled Foreign Companies: Creditable Tax of a CFC: contents

From HM Revenue & Customs · International Manual

Where the charging provisions at TIOPA10/ S371BC apply to a CFC, Step 2 of TIOPA10/S371BC(1) states that, in establishing the CFC charge, it is necessary to determine the CFC’s creditable tax for the accounting period in accordance with Chapter 16. The amount of creditable tax calculated under Chapter 16 is then apportioned among the relevant persons (in accordance with Chapter 17) for the purposes of step 3 of TIOPA10/S371BC(1).

Contents3 entries

  1. INTM230100Controlled Foreign Companies: Creditable Tax of a CFC: Introduction
  2. INTM230200Controlled Foreign Companies: Creditable tax of a CFC: Example
  3. INTM230300Controlled Foreign Companies: Creditable tax of a CFC: Other matters
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