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Official guidance
International Manual

INTM555020 · Hybrids: hybrid payee (Chapter 7): conditions to be satisfied

  • INTM555030 · Condition A
  • INTM555040 · Condition B
  • INTM555050 · Condition C
  • INTM555060 · Condition D
  • INTM555070 · Condition E
  1. Hybrids: hybrid payee (Chapter 7): conditions to be satisfied: contents
  2. Hybrids: hybrid payee (Chapter 7): conditions to be satisfied: condition B

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.

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