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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'): Business establishment and place of effective management

INTM254930 | Controlled Foreign Companies: exemptions - Exempt Activities Test ('EAT'): Business establishment and place of effective management

From HM Revenue & Customs · International Manual

ICTA88/SCH25/PARA6(1)(a) - (b)

The requirements of ICTA88/SCH25/PARA6(1)(a) and (b) Schedule 25 as to presence in the territory of residence apply for holding and superior companies as they do for other companies (see INTM254830 to INTM254840). The only difference for such companies is that the employees test in ICTA88/SCH25/PARA8 is relaxed so that staff whose remuneration is paid by a person connected with, and resident in, the same territory as the holding company may be regarded as employed by the holding or superior holding company whether or not they are engaged wholly or mainly in the company’s business. This recognises that the activities of a holding or superior holding company frequently do not require the services of full-time staff.

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