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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: Adjustments for changes in ordinary shareholdings

INTM255950 | Controlled Foreign Companies: apportionment of chargeable profits and creditable tax: Adjustments for changes in ordinary shareholdings

From HM Revenue & Customs · International Manual

Where the percentage of ordinary shares held changes during the accounting period the relevant interest is based on the average percentage held over the accounting period of the controlled foreign company. This is given by the formula:

(P x H)/A

P is the percentage of ordinary shares held (based on the formula P X S above) for each period in which the shareholding remained the same during the controlled foreign company’s accounting period.

H is the number of days for which the shareholding remained the same, the ‘holding period’.

A is the number of days in the accounting period of the controlled foreign company.

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