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Official guidance
International Manual

INTM333500 · Double Taxation Applications and Claims: repayment interest

  • INTM333510 · What is repayment interest
  • INTM333520 · Entitlement
  • INTM333530 · Member states of the European Economic Area - (EEA) and associated territories
  • INTM333540 · Countries and territories where companies do not qualify for repayment interest
  • INTM333550 · What information is required to calculate repayment interest
  • INTM333560 · How repayment interest is calculated on a 12 month accounting period
  • INTM333570 · How repayment interest is calculated where the non-UK resident company’s accounting period exceeds 12 months
  • INTM333580 · Correspondence about entitlement to repayment interest
  • INTM333590 · Company in liquidation
  1. Double Taxation Applications and Claims: repayment interest: contents
  2. Double Taxation Applications and Claims: repayment interest: Correspondence about entitlement to repayment interest

INTM333580 | Double Taxation Applications and Claims: repayment interest: Correspondence about entitlement to repayment interest

From HM Revenue & Customs · International Manual

If you receive any correspondence or other enquiry about entitlement to repayment interest you should refer the matter to the Base Protection Policy Team in Business, Assets & International (BAI).

After 30 June 2025, companies not resident in an EEA member state or an associated territory do not qualify for repayment interest unless they are within the charge to UK Corporation Tax (i.e. they are carrying on a business in the UK through a Permanent Establishment) for the period in which they received the income to which the repayment relates.

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