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Contents

Official guidance
International Manual

INTM489830 · Diverted Profits Tax: customer engagement with HMRC

  • INTM489833 · Introduction
  • INTM489836 · Initial contact between customers and HMRC
  • INTM489839 · Diverted Profits Tax - internal advice and support network for case workers and CCMs
  • INTM489842 · Informal discussions between HMRC and customers
  • INTM489845 · Informal engagement about Diverted Profits Tax
  • INTM489848 · No formal statutory or non-statutory clearance procedure for Diverted Profits Tax
  • INTM489851 · What an initial informal discussion should cover
  • INTM489854 · Seeking information from other sources
  • INTM489857 · Detailed risk reviews – operational approach
  • INTM489860 · Notification
  • INTM489863 · Advance Pricing Agreements do not extend to Diverted Profits Tax
  • INTM489866 · How Advance Pricing Agreements in force at 1 April 2015 interact with Diverted Profits Tax
  • INTM489869 · Advance Pricing Agreements entered into after the introduction of Diverted Profits Tax
  • INTM489872 · Advance Pricing Agreements concluded for periods ending before 1 April 2015
  • INTM489875 · Diverted Profits Tax and Advance Thin Capitalisation Agreements
  • INTM489878 · Diverted Profits Tax and Treaties
  1. Diverted Profits Tax: customer engagement with HMRC: contents
  2. Diverted Profits Tax: customer engagement with HMRC: no formal statutory or non-statutory clearance procedure for Diverted Profits Tax

INTM489848 | Diverted Profits Tax: customer engagement with HMRC: no formal statutory or non-statutory clearance procedure for Diverted Profits Tax

From HM Revenue & Customs · International Manual

There is no formal statutory, or non-statutory clearance procedure for DPT.

HMRC is committed to meeting its international exchange of information obligations. If HMRC provides an opinion on the application of DPT to customer arrangements this may constitute a “ruling” for international taxation purposes, meaning it is very likely to be required to be exchanged with another jurisdiction.

For more information, including whether, when, and how HMRC exchange or make a request from foreign fiscal authorities for such rulings: please consult IEIM500000 onwards.

Additionally, HMRC will not usually provide an informal view on whether transactions are likely to fall within the scope of DPT, as it would require a considerable amount of resource from the company and HMRC to obtain the necessary assurance about the level of DPT risk.

Any opinion will not be influenced by the customer’s overall Business Risk Rating.

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