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Contents

Official guidance
International Manual

INTM239000 · Controlled Foreign Companies: Assumed Taxable Total Profits, Assumed Total Profits and the Corporation Tax Assumptions

  • INTM239100 · Introduction
  • INTM239200 · Assumed Taxable Total Profits and Assumed Total Profits
  • INTM239300 · Corporation Tax Assumptions
  • INTM239400 · UK Residence
  • INTM239500 · Example
  • INTM239600 · Close Company
  • INTM239700 · Claims and Elections
  • INTM239800 · Claims and Elections - Disapplication of assumption
  • INTM239900 · Elections Under Section 9A of CTA 2010
  • INTM240000 · Elections for leases to be treated as Long Funding Leases
  • INTM240100 · Intangible Fixed Assets
  • INTM240200 · Group Relief
  • INTM240300 · Capital Allowances
  • INTM240400 · Unremittable Overseas Income
  • INTM240500 · Tax Advantages
  • INTM240600 · Disguised Interest
  • INTM240700 · Shares Accounted for as Liabilities
  • INTM240800 · Double Taxation Relief - Counteraction Notices
  1. Controlled Foreign Companies: Assumed Taxable Total Profits, Assumed Total Profits and the Corporation Tax Assumptions: contents
  2. Controlled Foreign Companies: Assumed Taxable Total Profits, Assumed Total Profits and the Corporation Tax Assumptions: Disguised Interest

INTM240600 | Controlled Foreign Companies: Assumed Taxable Total Profits, Assumed Total Profits and the Corporation Tax Assumptions: Disguised Interest

From HM Revenue & Customs · International Manual

The disguised interest rules in CTA09/Part 6/Ch2A are designed to ensure that where a company is party to an arrangement which produces for the company a return in relation to any amount which is economically equivalent to interest, CTA09/Part 5 (the loan relationships rules) applies as if the return were a profit arising to the company from a loan relationship.

TIOPA10/S371SP ensures that references to a tax advantage at CTA10/S1139(2)(da) include any tax advantage arising under CTA09/S486D(4) as a consequence of the CFC being party to an arrangement that falls within the disguised interest rules in CTA09/Part 6/Chapter 2A.

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