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Official guidance
International Manual

INTM256000 · Controlled Foreign Companies: EEA states - deduction for net economic value against apportionment

  • INTM256010 · Introduction to Controlled Foreign Companies: EEA states - deduction for net economic value against apportionment
  • INTM256020 · Overview of the new rules
  • INTM256030 · “Net economic value” created directly by work in an EEA state
  • INTM256040 · Examples of “Net economic value” created directly by work in an EEA state
  • INTM256050 · Timing of new rules
  • INTM256060 · Conditions for application to treat a controlled foreign company’s profits as reduced
  • INTM256070 · Geographical scope and other defined terms
  • INTM256080 · Procedures and process
  • INTM256090 · Information to be included in applications under ICTA88/S751A
  1. Controlled Foreign Companies: EEA states - deduction for net economic value against apportionment: Contents
  2. Controlled Foreign Companies: EEA states - deduction for net economic value against apportionment: Conditions for application to treat a controlled foreign company’s profits as reduced

INTM256060 | Controlled Foreign Companies: EEA states - deduction for net economic value against apportionment: Conditions for application to treat a controlled foreign company’s profits as reduced

From HM Revenue & Customs · International Manual

A UK resident company that has a “relevant interest” (as defined in ICTA88/S752A) in a controlled foreign company may make an application under the new rules if the following conditions are satisfied in relation to an accounting period of the controlled foreign company:

  1. none of the exemptions provided for in ICTA88/S748 applies (and so the controlled foreign company’s chargeable profits and creditable tax fall to be apportioned under ICTA88/S747(3)); and

  2. throughout the period the controlled foreign company has a business establishment in, and individuals working for it in, another EEA State (see INTM256070).

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