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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 against double charge: subsequent dividends

INTM254300 | Controlled Foreign Companies: legislation - introduction and outline: Relief against double charge: subsequent dividends

From HM Revenue & Customs · International Manual

Where a controlled foreign company pays a dividend to a United Kingdom company the dividend is taxable as overseas income. Where the dividend is paid out of profits which have been the subject of a Chapter IV assessment, a double charge to tax arises. The double charge is mitigated by treating the Chapter IV tax as underlying tax creditable against the liability on the dividend except to the extent that it has otherwise been relieved. Full details are given at INTM256230 to INTM256220.

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