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Official guidance
International Manual

INTM267780 · The attribution of capital to foreign banking permanent establishments in the UK: The approach in determining an adjustment to funding costs - STEP 5: Determining the capital attribution tax adjustment

  • INTM267781 · The attribution of capital to foreign banking permanent establishments in the UK: The approach in determining an adjustment to funding - STEP 5: Determining the capital attribution tax adjustment:
  • INTM267782 · Disallowance of interest and other costs
  • INTM267783 · The range of capital attribution adjustment
  • INTM267784 · The attribution of capital to foreign banking permanent establishments in the UK: The approach in determining an adjustment to funding costs - STEP 5: Determining the capital attribution tax adjustment:
  • INTM267785 · The attribution of capital to foreign banking permanent establishments in the UK: The approach in determining an adjustment to funding costs - STEP 5: Determining the capital attribution tax adjustment:
  • INTM267786 · The attribution of capital to foreign banking permanent establishments in the UK: The approach in determining an adjustment to funding costs - STEP 5: Determining the capital attribution tax adjustment:
  • INTM267787 · The attribution of capital to foreign banking permanent establishments in the UK: The approach in determining an adjustment to funding costs - STEP 5: Determining the capital attribution tax adjustment:
  • INTM267788 · Guarantee fees - no deduction available
  • INTM267789 · Frequency of calculations
  • INTM267790 · Allotment of capital
  1. The attribution of capital to foreign banking permanent establishments in the UK: The approach in determining an adjustment to funding costs - STEP 5: Determining the capital attribution tax adjustment: contents
  2. The attribution of capital to foreign banking permanent establishments in the UK: The approach in determining an adjustment to funding costs - STEP 5: Determining the capital attribution tax adjustment: Disallowance of interest and other costs

INTM267782 | The attribution of capital to foreign banking permanent establishments in the UK: The approach in determining an adjustment to funding costs - STEP 5: Determining the capital attribution tax adjustment: Disallowance of interest and other costs

From HM Revenue & Customs · International Manual

A UK branch of a foreign bank is funded by its head office with:

  • short terms loans of £800m at an interest cost of 5%

  • a ten year loan of £25m at an interest cost of 7%, and

  • an interest-free allotment of capital of £75m.

Assumptions:

  1. The analysis under CTA09/Part 2/Chapter 4 requires the branch to have equity capital of £150m and loan capital of £50m. Therefore, £200m of the actual funding is to be treated as displaced by the attributed equity and loan capital for the purposes of computing the costs to be disallowed under CTA09/Part 2/Chapter 4.

  2. The appropriate interest rate for attributed loan capital is agreed at 6%.

  3. The funding to be displaced by the attributed equity and loan capital is agreed as the £75m allotted equity, £25m ten-year loan and £100m of the short-term loans.

The attributed capital and its cost will be:

Type of capitalAmount of capitalInterest rateCost
Equity capital£150M0%0
Loan capital£50M6%£3.0M
--Total£3.0M

The funding that will be displaced by the capital will be:

Type of fundingAmount of fundingInterest rateCost
Allotted capital£75M0%0
10-year loan£25M7%£1.75M
Short-term loan£100M5%£5.0M
--Total£6.75M

Therefore, the costs to be disallowed under CTA09/Part 2/Chapter 4 as the capital attribution tax adjustment are £6.75m - £3.0m = £3.75m

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