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Contents

Official guidance
International Manual

INTM255850 · Controlled Foreign Companies: apportionment of chargeable profits and creditable tax

  • INTM255860 · Apportionment and assessment
  • INTM255870 · Interaction with ICTA88/S739
  • INTM255880 · Substantial interest requirement
  • INTM255890 · Interests in a controlled foreign company
  • INTM255900 · ‘Entitled to acquire’ and ‘entitled to secure’
  • INTM255910 · Indirect interests
  • INTM255920 · Relevant interests
  • INTM255930 · Interests by virtue of ordinary shares alone
  • INTM255940 · Calculation of interest based on ordinary shares
  • INTM255950 · Adjustments for changes in ordinary shareholdings
  • INTM255960 · Example of relevant interests and interests by virtue of ordinary shares alone
  • INTM255970 · Interests other than by virtue of ordinary shares alone
  • INTM255980 · Determination of apportionment by the Commissioners of HM Revenue & Customs
  1. Controlled Foreign Companies: apportionment of chargeable profits and creditable tax: Contents
  2. Controlled Foreign Companies: apportionment of chargeable profits and creditable tax: Interests by virtue of ordinary shares alone

INTM255930 | Controlled Foreign Companies: apportionment of chargeable profits and creditable tax: Interests by virtue of ordinary shares alone

From HM Revenue & Customs · International Manual

ICTA88/S752(2) - (3)

In the majority of cases relevant interests in a controlled foreign company will arise solely by virtue of holdings of ordinary shares either directly or via holding companies. Where all of the following requirements are met, apportionment should be made among the ‘relevant interests’ in direct proportion to the ordinary shares held in the controlled foreign company.

  • Throughout the accounting period of the controlled foreign company the relevant interest must be held directly or indirectly by virtue of ordinary shares alone.

  • Throughout the accounting period of the controlled foreign company each person holding a relevant interest must be either resident in the United Kingdom or resident outside the United Kingdom.

  • Throughout the accounting period of the controlled foreign company no company with an intermediate interest in the controlled foreign company held that interest other than via ordinary shares.

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