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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: Creditable tax: not trading profits

INTM256400 | Controlled Foreign Companies: United Kingdom companies carrying on life assurance business: Creditable tax: not trading profits

From HM Revenue & Customs · International Manual

Where creditable tax is apportioned to a United Kingdom company carrying on life assurance business and that company is not charged to tax in respect of its life assurance profits and the apportioned profit is referable to one of the following categories of business:

pension business,

life reinsurance business, or

overseas life assurance business,

the creditable tax shall be treated as extinguished.

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