Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
International Manual

INTM248100 · Controlled Foreign Companies: Definitions for terms in Part 9A: Alphabetic index of terms defined in Part 9A

  • INTM248150 · Accounting Periods
  • INTM248200 · Accounting profits
  • INTM248300 · Cell companies
  • INTM248350 · Connected persons
  • INTM248400 · Non-trading finance profits
  • INTM248450 · Trading finance profits
  • INTM248500 · Interests in companies
  • INTM248550 · Property business profits
  • INTM248600 · Relevant finance lease
  1. Controlled Foreign Companies: Definitions for terms in Part 9A: Alphabetic index of terms defined in Part 9A
  2. Controlled Foreign Companies: Definitions for terms in Part 9A: Alphabetic index of terms defined in Part 9A: Connected persons

INTM248350 | Controlled Foreign Companies: Definitions for terms in Part 9A: Alphabetic index of terms defined in Part 9A: Connected persons

From HM Revenue & Customs · International Manual

TIOPA10/S371VF sets out the rules for identifying connected persons. This includes persons who are “associated” or “connected” to the CFC in question, as those terms are defined in CTA10/S882(2)-(7)(web) and CTA10/S1122 (Web) respectively.

The section provides that a person will be related to a CFC if any of the three following circumstances exists:

  1. the person is associated or connected with the CFC;

  2. if there were to be a CFC charge, at least 25% of the CFC’s chargeable profits would be apportioned to the person; or

  3. if the CFC is a CFC by virtue of TIOPA10/S371RC (see INTM236200), the person is connected or associated with either or both of the controllers.

PreviousNext
PrivacyTerms