INTM368300 | DT applications and claims : foreign dividends and interest payments
From HM Revenue & Customs · International Manual
Additional foreign withholding tax
You may receive claims for repayment of UK income tax deducted from
interest payments from Canada
dividends from
-Canada
-Netherlands
-United States of America
You may not be able to repay some or any of the UK tax because the Inland Revenue has to pay over some additional withholding tax to the taxation authorities of one of those countries.
You should refer to Technical Advice Group before payment of any claim for repayment of UK income tax deducted from
a dividend paid by a company in
-Canada
-Netherlands
-United States of America
or
a payment of interest from Canada
Technical Advice Group will provide specific guidance for each claim affected.
The relevant statutory authority is
for Canada SI1980/780 for dividends and SI1987/2071 for interest
for Netherlands SI1967/1063
for United States of America SI1961/985 and SI1980/779
These provisions do not apply to payments made after 1 January 2001 (USA) and 1 April 2001 (Netherlands and Canada). See SI2000/3330.