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Contents

Official guidance
International Manual

INTM254150 · Controlled Foreign Companies: legislation - introduction and outline

  • INTM254160 · Guidance on the Controlled Foreign Companies’ rules under self assessment
  • INTM254170 · Nature of the Controlled Foreign Companies’ rules
  • INTM254180 · Controlled Foreign Companies: legislation - introduction and outline: Requirements of the legislation
  • INTM254190 · Relief for foreign taxes
  • INTM254200 · Statutory Exclusions
  • INTM254210 · Definition of Controlled Foreign Company
  • INTM254220 · Exclusions from charge
  • INTM254230 · Chargeable profits and creditable tax
  • INTM254240 · Apportionment of profits
  • INTM254250 · Assessments
  • INTM254260 · Board’s notice of approval and rights of appeal
  • INTM254270 · Reliefs
  • INTM254280 · ACT
  • INTM254290 · Relief against double charge: subsequent disposal
  • INTM254300 · Relief against double charge: subsequent dividends
  • INTM254310 · Controlled Foreign Companies: legislation - introduction and outline: Information
  • INTM254320 · Interest and penalties
  • INTM254330 · Clearance Procedures
  1. Controlled Foreign Companies: legislation - introduction and outline: Contents
  2. Controlled Foreign Companies: legislation - introduction and outline: Relief for foreign taxes

INTM254190 | Controlled Foreign Companies: legislation - introduction and outline: Relief for foreign taxes

From HM Revenue & Customs · International Manual

Relief is available for foreign taxes which the controlled foreign company has paid and for certain tax allowances to which the UK company is entitled. Tax charged under Chapter IV may be credited against the United Kingdom company’s liability under Case V in respect of a dividend paid by the controlled foreign company out of the profits in respect of which the Chapter IV charge arose.

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