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Contents

Official guidance
International Manual

INTM255150 · Controlled Foreign Companies: exemptions - the motive test

  • INTM255160 · Introduction to the motive test
  • INTM255170 · The conditions of the motive test
  • INTM255180 · The transaction leg of the motive test: transactions reducing United Kingdom tax
  • INTM255190 · The transaction leg of the motive test: statutory definition
  • INTM255200 · The transaction leg of the motive test: are the results of the transaction(s) reflected in the controlled foreign company’s profits for an accounting period?
  • INTM255210 · The transaction leg of the motive test: reduction in United Kingdom tax?
  • INTM255220 · The transaction leg of the motive test: reduction in United Kingdom tax more than minimal?
  • INTM255230 · The transaction leg of the motive test: motive element
  • INTM255240 · The diversion of profits leg of the motive test
  • INTM255250 · The diversion of profits leg of the motive test: statutory definition
  • INTM255260 · The diversion of profits leg of the motive test: are there receipts reflected in the controlled foreign company’s profits for an accounting period?
  • INTM255270 · The diversion of profits leg of the motive test: would it be reasonable to suppose that the whole or a substantial part of the receipts would have been received by a United Kingdom person?
  • INTM255280 · The diversion of profits leg of the motive test: related company
  • INTM255290 · The diversion of profits leg of the motive test: United Kingdom company
  • INTM255300 · The diversion of profits leg of the motive test: would the United Kingdom person have paid more, or been entitled to less relief from, United Kingdom tax?
  • INTM255310 · The diversion of profits leg of the motive test: motive element
  • INTM255320 · Application of motive test: overview
  • INTM255330 · Controlled Foreign Companies: exemptions ' the motive test - Application of motive test: ‘marginal and isolated failure’ of exempt activities and excluded countries exemptions
  • INTM255340 · Application of motive test: newly-established overseas business
  • INTM255350 · Application of motive test: incorporation of foreign branch
  • INTM255360 · Application of motive test: United Kingdom takeover of overseas group - ‘period of grace’
  • INTM255370 · Application of motive test: holding companies - background
  • INTM255380 · Application of motive test: holding companies - 21 March 2000 example
  • INTM255390 · Application of motive test: holding companies - avoidance of United Kingdom or foreign tax
  • INTM255400 · Application of motive test: holding companies - conduit companies
  • INTM255410 · Application of motive test: Venture Capital Limited Partnerships
  • INTM255420 · Application of motive test: loan relationships legislation
  • INTM255430 · Application of motive test: examples - ‘marginal and isolated failure’ of exempt activities and excluded countries exemptions
  • INTM255440 · Application of motive test: examples - United Kingdom takeover of overseas group
  • INTM255450 · Application of motive test: examples - locally based traders failing the exempt activities test
  • INTM255460 · Application of motive test: examples - intra-group service providers failing the exempt activities test
  • INTM255470 · Application of motive test: examples - controlled foreign company’s profits effectively subject to tax in the United Kingdom
  • INTM255480 · Application of motive test: examples - captive Insurance companies
  • INTM255490 · Application of motive test: examples - ‘money boxes’
  • INTM255500 · Application of motive test: examples - holding companies
  1. Controlled Foreign Companies: exemptions - the motive test: Contents
  2. Controlled Foreign Companies: exemptions - the motive test: Application of motive test: examples - ‘marginal and isolated failure’ of exempt activities and excluded countries exemptions

INTM255430 | Controlled Foreign Companies: exemptions - the motive test: Application of motive test: examples - ‘marginal and isolated failure’ of exempt activities and excluded countries exemptions

From HM Revenue & Customs · International Manual

Example 1

A United Kingdom banking group owns a banking subsidiary in a low tax territory. As part of its activities the subsidiary accepts deposits from third party investors which it lends at interest to its United Kingdom parent.

In its early years of trading it passes the exempt activities test. In year 6, however, it fails that test because, due to a software glitch, it marginally fails to satisfy the conditions of the capital structure test (ICTA88/SCH25/PARA11(3)-(5)).

It is accepted that year 6 is a 'marginal and isolated failure' of the exempt activities test and the company passes the motive test for year 6. If such a failure occurred in a future accounting period the company would not pass the motive test on this application of the test as, even if once again marginal, it would not be an isolated failure.

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Example 2

A subsidiary of a UK group acts as the holding company for various associates. It has no transactions with UK associates.

During the accounting period it acquires a trading group from a third party but due to local laws it is only allowed to acquire a maximum 40% of one of the company’s shares within that group in that accounting period (it can only acquire the remaining 60% in the next accounting period). All its income in that earlier accounting period would be made up of qualifying dividends were it not for the fact that dividends from this one company are not from a company which it controls. It therefore fails the exempt activities test.

It is accepted, however, that for that earlier accounting period the company passes the motive test as the failure is a marginal and isolated one.

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