Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
International Manual

INTM254800 · Controlled Foreign Companies: exemptions - Exempt Activities Test ('EAT')

  • INTM254810 · The Exempt Activities Exemption
  • INTM254820 · Territory of residence
  • INTM254830 · Business establishment
  • INTM254840 · Effectively managed in territory of residence
  • INTM254850 · Further conditions
  • INTM254860 · Main business
  • INTM254870 · Investment business
  • INTM254880 · Dealing in goods
  • INTM254890 · Wholesale, distributive, financial or service business
  • INTM254900 · Banking, deposit-taking, money-lending and debt-factoring
  • INTM254910 · Insurance companies
  • INTM254920 · Companies holding shares and securities in subsidiaries
  • INTM254930 · Business establishment and place of effective management
  • INTM254940 · Definition of a holding company
  • INTM254950 · Definition of a superior holding company
  • INTM254960 · Income requirement of holding companies
  • INTM254970 · Income requirement of superior holding companies
  • INTM254980 · Qualifying exempt activity income
  • INTM254990 · Ascertaining the source of income paid to a superior holding company
  • INTM255000 · Computation of gross income
  • INTM255010 · Income treated as not derived from subsidiaries
  • INTM255020 · Local holding companies
  • INTM255030 · Exempt trading companies
  • INTM255040 · Motive Test, holding companies and superior holding companies
  • INTM255050 · Example of a holding company structure
  1. Controlled Foreign Companies: exemptions - Exempt Activities Test ('EAT'): Contents
  2. Controlled Foreign Companies: exemptions - Exempt Activities Test ('EAT'): Main business

INTM254860 | Controlled Foreign Companies: exemptions - Exempt Activities Test ('EAT'): Main business

From HM Revenue & Customs · International Manual

There is no statutory definition of the term ‘main business’. It is a question of fact which of a controlled foreign company’s activities constitutes its main business. In most cases the position will be clear but in cases of doubt the factors to be considered include the levels of turnover, the amounts of capital investment and the levels of profitability of the company’s various activities. Companies can apply for clearance to remove any doubt (see INTM256720 to INTM256750). In some cases it may be necessary to look at more than one year where the matter is marginal.

Where a company carries on a single trade, that will normally be its main business. Where it carries on more than one trade, the main business is likely to be the trade which generates the highest turnover and profits. There will, however, be companies with trading income whose main business may nevertheless be investment of funds. Such companies are likely to be characterised by investment income in excess of their trading profits or investments with a value in excess of the assets employed in the trade. The time devoted by employees to different activities is a poor indication of the main business since investment income is by its nature passive and less likely to absorb staff time than an active trade.

Example

A company carries on a wholesaling business with 4 staff and a turnover of £12 Million. It makes a 4% gross profit which, after expenses, gives net profits of £400,000. It has also invested £7 Million in long term bonds with an 8% yield. No one individual spends all his time on the investment side of the business. The main business is the investment of securities. The net profit on both businesses is considered the better measure here in deciding which is the main business.

PreviousNext
PrivacyTerms