Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
International Manual

INTM337300 · Double Taxation applications and claims: Applicants/claimants: Claims by financial concerns under Business Profits Article

  • INTM337310 · Background to claims by foreign financial concerns
  • INTM337320 · Double Taxation applications and claims: Applicants/claimants: Claims by financial concerns under Business Profits Articles: Claims by Channel Islands and Isle of Man banks
  • INTM337330 · How to deal with claims from foreign financial concerns
  • INTM337340 · Requests to extend the provisions to other income
  1. Double Taxation applications and claims: Applicants/claimants: Claims by financial concerns under Business Profits Article: Contents
  2. Double Taxation applications and claims: Applicants/claimants: Claims by financial concerns under Business Profits Article: Background to claims by foreign financial concerns

INTM337310 | Double Taxation applications and claims: Applicants/claimants: Claims by financial concerns under Business Profits Article: Background to claims by foreign financial concerns

From HM Revenue & Customs · International Manual

Under a longstanding practice, a claim by an overseas financial concern for interest which bears the character of income arising from their trading activities or forms part of their trading income may be relieved under the Business Profits Article (provided the Business Profits Article doesn’t clearly exclude interest, for example Kenya) in either of the following circumstances

  • there is no interest article, or

  • the conditions of the interest article are not satisfied.

Next
PrivacyTerms