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Contents

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: Apportioned profit referable to particular business

INTM256420 | Controlled Foreign Companies: United Kingdom companies carrying on life assurance business: Apportioned profit referable to particular business

From HM Revenue & Customs · International Manual

The part of the apportioned profit which is referable to:

pension business,

life reinsurance business,

overseas life assurance business, or

basic life assurance and general annuity business

which is carried on by the United Kingdom company is the part that would have been so referable under ICTA88/S432A if the apportioned profit had been a dividend paid to the United Kingdom company at the end of the accounting period in which the apportionment falls to be made.

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