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Contents

Official guidance
International Manual

INTM254600 · Controlled Foreign Companies: exemptions - Acceptable Distribution Policy ('ADP')

  • INTM254610 · The ADP exemption
  • INTM254620 · Attribution of dividends to accounting periods
  • INTM254630 · Time limit for payment of dividend
  • INTM254640 · Distribution standard
  • INTM254650 · Definition of net chargeable profits
  • INTM254660 · Dividends from preceding periods
  • INTM254670 · Relevant profits
  • INTM254680 · Dividends already taken into account and excluded dividends
  • INTM254690 · Dividends from other Controlled Foreign Companies
  • INTM254700 · Indirect dividends
  • INTM254710 · Non-resident shareholders: one class of shares
  • INTM254720 · Non-resident shareholders: two classes of shares
  • INTM254730 · Non-resident shareholders: indirect interests
  • INTM254740 · Currency translation
  • INTM254750 · Treatment of foreign taxes
  • INTM254760 · Dividends paid out of distributions from a United Kingdom company
  • INTM254770 · Dividends paid under avoidance schemes
  1. Controlled Foreign Companies: exemptions - Acceptable Distribution Policy ('ADP'): Contents
  2. Controlled Foreign Companies: exemptions - Acceptable Distribution Policy ('ADP'): Dividends paid out of distributions from a United Kingdom company

INTM254760 | Controlled Foreign Companies: exemptions - Acceptable Distribution Policy ('ADP'): Dividends paid out of distributions from a United Kingdom company

From HM Revenue & Customs · International Manual

The ADP exemption was abolished in FA09 for accounting periods of CFCs beginning on or after 1 July 2009. This guidance only applies to APs ending on or before 30 June 2009

ICTA88/SCH25/PARA2(1B)

A dividend will not count towards satisfying an acceptable distribution policy to the extent that the relevant profits under ICTA88/S799 out of which the dividend is paid, include dividends or other distributions received by the overseas company from the United Kingdom, and which were (or would be) exempt from corporation tax under ICTA88/S208, if the company was (or were deemed to be) UK resident when they were received. The purpose of this provision is to prevent companies satisfying an acceptable distribution policy by means of UK dividends which, while excluded from the chargeable profits, are paid as dividends to the UK where UK underlying tax is available against the Case V charge.

The provision applies in respect of overseas companies with accounting periods ending on or after March 9t h 1999, but only in respect of dividends paid to the UK on or after that date. The provision applies whether or not the relevant profits include distributions received from the UK before that date.

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