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Official guidance
International Manual

INTM256350 · Controlled Foreign Companies: United Kingdom companies carrying on life assurance business

  • INTM256360 · Special rules for United Kingdom companies carrying on life assurance business
  • INTM256370 · Appropriate rate: trading profits
  • INTM256380 · Appropriate rate: not trading profits
  • INTM256390 · Creditable tax: trading profits
  • INTM256400 · Creditable tax: not trading profits
  • INTM256410 · Set-off of reliefs under ICTA88/SCH26/PARA1 and unrelieved surplus ACT under Regulations
  • INTM256420 · Apportioned profit referable to particular business
  1. Controlled Foreign Companies: United Kingdom companies carrying on life assurance business: Contents
  2. Controlled Foreign Companies: United Kingdom companies carrying on life assurance business: Appropriate rate: trading profits

INTM256370 | Controlled Foreign Companies: United Kingdom companies carrying on life assurance business: Appropriate rate: trading profits

From HM Revenue & Customs · International Manual

Where the profits of a controlled foreign company fall to be apportioned on a United Kingdom resident company

  • which carries on a life assurance business in the accounting period in which the accounting period of the controlled foreign company ends, and

  • the property or rights constitute to any extent assets of the United Kingdom company’s long term business fund, and

  • the United Kingdom company is charged to tax in respect of its profits from life assurance, then

the appropriate rate for the purposes of ICTA88/S747(4)(a) and ICTA88/SCH24/PARA1 is nil to the extent that the interest giving rise to the apportioned profit represents assets of the ‘long-term business fund’ ‘Long term business fund’ has the meaning in ICTA88/S431(2).

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