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Contents

Official guidance
International Manual

INTM336700 · Double Taxation applications and claims: applicants/claimants: International associations

  • INTM336710 · What an international association is
  • INTM336720 · What the difference is between an international association and an international organisation
  • INTM336730 · Residence status of an international association
  • INTM336740 · What relief international associations can claim from HMRC
  • INTM336750 · How you deal with claims and applications by international associations
  1. Double Taxation applications and claims: applicants/claimants: International associations: Contents
  2. Double Taxation applications and claims: applicants/claimants: International associations: What relief international associations can claim from HMRC

INTM336740 | Double Taxation applications and claims: applicants/claimants: International associations: What relief international associations can claim from HMRC

From HM Revenue & Customs · International Manual

If it is possible to establish that an international association can be regarded as managed and controlled outside the UK (INTM336750), relief can be allowed on those grounds

But this relief under UK domestic legislation can only be available in respect of “FOTRA” securities and foreign dividends.

Before processing any claim under a double taxation agreement made by what appears to be an international association, you should refer the claim to CSTD, Business, Assets & International, Assets Residence & Valuation who will give case-specific advice.

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