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Official guidance
International Manual

INTM267700 · The attribution of capital to foreign banking permanent establishments in the UK

  • INTM267701 · What is capital for a bank and what does it do with it?
  • INTM267702 · The attribution of capital to foreign banking permanent establishment in the UK: Free working capital
  • INTM267705 · Legislative approach
  • INTM267706 · The approach in determining an adjustment to funding costs - overview of the five steps
  • INTM267707 · The approach in determining an adjustment to funding costs - STEP 1: Attributing the assets
  • INTM267710 · The approach in determining an adjustment to funding costs - STEP 2: Risk weighting the assets
  • INTM267730 · Foreign banks trading in the UK through permanent establishments: The approach in determining an adjustment to funding costs - STEP 2: Risk weighting the assets - the Basel II regulatory regime
  • INTM267760 · The approach in determining an adjustment to funding costs - STEP 3: Determining the equity capital
  • INTM267770 · The approach in determining an adjustment to funding costs - STEP 4: determining the loan capital
  • INTM267780 · The approach in determining an adjustment to funding costs - STEP 5: Determining the capital attribution tax adjustment
  • INTM267795 · Alternative approaches to calculating the capital attribution tax adjustment
  • INTM267796 · Application to permanent establishments of UK companies
  • INTM267797 · Double Taxation Relief problems - Mutual Agreement Procedure
  • INTM267798 · The use of UK Generally Accepted Accounting Practice
  1. The attribution of capital to foreign banking permanent establishments in the UK: contents
  2. The attribution of capital to foreign banking permanent establishments in the UK: Application to permanent establishments of UK companies

INTM267796 | The attribution of capital to foreign banking permanent establishments in the UK: Application to permanent establishments of UK companies

From HM Revenue & Customs · International Manual

Overseas permanent establishments of UK companies

Before it was amended by FA 2011, TIOPA10/S43 applied the permanent establishment (PE) provisions of Chapter 4, Part 2 CTA09 (previously ICTA88/S11AA) in determining for the purposes of S42(2) how much of a UK resident company’s chargeable profits was attributable to an overseas PE of the company.

See INTM281000 for detail on the approach under TIOPA10/S43 as amended by FA 2011.

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