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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: How you recognise the ‘Special Relationship’ condition

INTM332680 | Double Taxation applications & claims: permanent establishment and special relationship: How you recognise the ‘Special Relationship’ condition

From HM Revenue & Customs · International Manual

The terms of the ‘Special Relationship’ condition in the DTAs are usually one of the following

  • the majority of DTAs you will be concerned with provide that no relief is available where “…. the amount of the interest or royalty paid exceeds for whatever reason the amount which would have been paid in the absence of such relationship”

  • in the older pre-1966 DTAs no relief is available where ‘… any interest or royalty exceeds a fair and reasonable consideration in respect of the indebtedness or rights’.

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