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Contents

Official guidance
International Manual

INTM400000 · Interest and Royalty Payments

  • INTM400010 · Overview
  • INTM400020 · Legislation
  • INTM400030 · What the Interest and Royalty Payments legislation says
  • INTM400040 · Who is affected by the Interest and Royalty Payments Legislation?
  • INTM400050 · What an interest payment exemption notice covers
  • INTM400060 · Procedures for claims on interest payments
  • INTM400070 · Corporation Tax caseworker communication
  • INTM400080 · Handling enquiries into claims on interest payments
  • INTM400090 · Treatment of royalties under the Interest and Royalty Payments Legislation
  • INTM400100 · What happens if a claim is refused or an exemption notice cancelled
  • INTM400110 · EU Interest and Royalties Directive: Anti-avoidance measures
  1. Interest and Royalty Payments: Contents
  2. Corporation Tax caseworker communication

INTM400070 | Corporation Tax caseworker communication

From HM Revenue & Customs · International Manual

The guidance does not apply to payments made on or after 1 June 2021

HMRC has three months from receipt of the complete application with full supporting information (see INTM400060) to determine whether to issue an exemption notice.

It is essential in a situation where a very strict time limit applies that Interest and Royalty payment cases are recognised at all stages, that priority is given to them, and that full and timely communication takes place between those handling the claim at the Large Business Service Double Tax Treaty team and in the office with CT responsibility.

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