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Contents

Official guidance
International Manual

INTM335000 · Double Taxation Applications and Claims: companies

  • INTM335030 · What a limited company is
  • INTM335040 · Types of company claim
  • INTM335050 · First claims on form A1 (FOTRAs and foreign dividends) from companies
  • INTM335060 · The residence position of companies submitting DT claims
  • INTM335070 · What you do on receipt of a completed questionnaire 2300Q
  • INTM335080 · Companies resident in Antigua, Barbados, Cyprus & Jamaica
  • INTM335090 · Claims by liquidators
  • INTM335010 · How to tell that a claim is from a company
  • INTM335020 · Abbreviations used for companies in other countries
  1. Double Taxation Applications and Claims: companies: Contents
  2. Double Taxation applications and claims: companies: The residence position of companies submitting DT claims

INTM335060 | Double Taxation applications and claims: companies: The residence position of companies submitting DT claims

From HM Revenue & Customs · International Manual

When you receive a DT claim from a company you can assume that the company is resident in that country. It is generally unnecessary to make UK residence enquiries. However, if you have reason to believe the claimant company may have a UK connection (for example from the answer to the ‘Management and Control’ question) you should first refer the file to Specialist Personal Tax, PT International Advisory to consider

  • whether to open an enquiry and issue a questionnaire 2300Q

or

  • whether there are any double residence implications.

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