INTM555040 | Hybrids: hybrid payee (Chapter 7): conditions to be satisfied: condition B
From HM Revenue & Customs · International Manual
Condition B of s259GA TIOPA 2010 requires a payee to be a hybrid entity (a hybrid payee).
A payee is any person to whom
a transfer of money or money’s worth is made, or
an amount of ordinary income arises
A hybrid entity is defined at s259BE as an entity that is regarded as a distinct and separate person for tax purposes under the law of any territory, but
its income or profits are treated wholly or partly as the income or profits of another person (or would be if there were any), or
it is not regarded as a distinct and separate person for tax purposes under the law of another territory
See INTM550580 for further details on the definition of a hybrid entity.