Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
International Manual

INTM256450 · Controlled Foreign Companies carrying on general insurance business

  • INTM256460 · Non-annual accounting
  • INTM256470 · Non-annual accounting: implications for controlled foreign companies
  • INTM256480 · Special rules for controlled foreign companies carrying on general insurance business
  • INTM256490 · Approved funding method and maximum length of fund
  • INTM256500 · Ascertaining chargeable profits on closure of fund
  • INTM256510 · Uncertainty as to lower level of taxation
  • INTM256520 · Later amendments
  • INTM256530 · Equalisation reserves
  • INTM256540 · Special rules for an Acceptable Distribution Policy (‘ADP’)
  • INTM256550 · Amendment of return where dividend not paid
  1. Controlled Foreign Companies carrying on general insurance business: Contents
  2. Controlled Foreign Companies carrying on general insurance business: Ascertaining chargeable profits on closure of fund

INTM256500 | Controlled Foreign Companies carrying on general insurance business: Ascertaining chargeable profits on closure of fund

From HM Revenue & Customs · International Manual

ICTA88/S755B(3)

Where an approved method of funded accounting is used a United Kingdom interest-holder may amend its controlled foreign company return for the underwriting year at any time within 12 months after the technical provision is either replaced or treated as replaced. HM Revenue & Customs has 2 years from the date the technical provision is either replaced or treated as replaced to enquire into the return.

PreviousNext
PrivacyTerms