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Contents

Official guidance
International Manual

INTM550500 · Hybrids: definition of key terms

  • INTM550510 · Arrangements within the scope of Part 6A
  • INTM550520 · Meaning of tax
  • INTM550530 · Equivalent provision under the law of a territory outside the United Kingdom
  • INTM550540 · Payment and quasi-payment, securitisation companies
  • INTM550550 · Payer and payee
  • INTM550560 · Ordinary income
  • INTM550570 · Ordinary income of controlled foreign companies
  • INTM550580 · Hybrid entities, residence, investors and investor jurisdiction
  • INTM550590 · Permanent establishment
  • INTM550600 · Financial instruments and relevant investment funds
  • INTM550610 · Control groups and related persons
  • INTM550620 · 50% investment and 25% investment
  • INTM550630 · Partnership and partnership members
  • INTM550640 · Reasonable to suppose
  • INTM550650 · Structured arrangements
  • INTM550660 · Summary
  1. Hybrids: definition of key terms: contents
  2. Hybrids: definition of key terms: payer and payee

INTM550550 | Hybrids: definition of key terms: payer and payee

From HM Revenue & Customs · International Manual

Payer

The payer is a person who would be able to deduct an amount in respect of a payment or quasi-payment when calculating their taxable profits, if Part 6A (or a non-UK equivalent of Part 6A) did not apply.

Payee

A payee is any person to whom

  • a payment is made, or

  • an amount of ordinary income arises as a result of a payment, or

  • an amount of ordinary income arises as a result of a quasi-payment, or

  • an amount of ordinary income could reasonably be expected to arise if the relevant assumptions are made. See INTM550540 for details of the relevant assumptions

Payer is also a payee

The payer can also be a payee where the entity is treated as the payer under UK law, but as a separate entity in the other jurisdiction.

For example, a payment made by a partnership to one of the partners has the same payer and payee from a UK perspective.

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