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).