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Official guidance
International Manual

INTM332600 · Double Taxation applications & claims: permanent establishment and special relationship

  • INTM332610 · What a permanent establishment is
  • INTM332620 · When you have to consider PE
  • INTM332630 · What the PE provisions are
  • INTM332640 · How you know the PE condition is satisfied
  • INTM332650 · Claimant with an associate outside the UK with a PE in the UK
  • INTM332660 · Claimant is a subsidiary of UK company: Claimant which is a subsidiary of a UK company
  • INTM332670 · What Special Relationship is
  • INTM332680 · How you recognise the ‘Special Relationship’ condition
  • INTM332690 · When special relationship condition satisfied: How you know the special relationship condition is satisfied
  1. Double Taxation applications & claims: permanent establishment and special relationship: contents
  2. Double Taxation applications & claims: permanent establishment and special relationship: What a permanent establishment is

INTM332610 | Double Taxation applications & claims: permanent establishment and special relationship: What a permanent establishment is

From HM Revenue & Customs · International Manual

A Permanent Establishment (or ‘PE’ as it is often referred to) is a specific place in the UK where business of the overseas claimant is carried on. It may also be a person in the UK who acts for the claimant. Any of the following could be regarded as a PE.

  • an agent in the UK who has been given and continually uses comprehensive authority to conclude contracts in the UK in the name of the overseas claimant. This does not include an agent of independent status such as a general commission Agent acting in the ordinary course of any business

  • a branch of the overseas claimant carrying out only certain functions in the UK could be a permanent establishment even though an agency carrying out the same functions may not be

  • a subsidiary or associated company could be a permanent establishment if it carried out the functions of a branch or an agent of the claimant company but it is unlikely to be so. (A subsidiary does not have to be wholly owned by the claimant company).

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