Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
International Manual

INTM630500 · Royalty Withholding: UK Source: Interaction with Diverted Profits Tax

  • INTM630510 · Overview
  • INTM630520 · Commencement
  • INTM630530 · Credit for UK or foreign tax on the same profits – general rules
  • INTM630540 · Relief if amount included in relevant taxable income of a connected party
  • INTM630550 · Relief under Double Taxation Agreements
  • INTM630560 · Examples
  1. Royalty Withholding: UK Source: Interaction with Diverted Profits Tax: Contents
  2. Royalty Withholding: UK Source: Interaction with Diverted Profits Tax: Commencement

INTM630520 | Royalty Withholding: UK Source: Interaction with Diverted Profits Tax: Commencement

From HM Revenue & Customs · International Manual

The changes to FA15/PART3 apply for accounting periods ending on or after 28 June 2016 - see FA16/S43(7).

A payment that would not otherwise be regarded as having been made during an accounting period ending on or after 28 June 2016 is nonetheless treated as having been done so if:

  • FA16/S40(6) applies to deem the payment as having been made during a date in that period (see section INTM630320),

  • FA16/S42(5) applies to deem the payment as having been made during a date in that period for the purposes of ITTOIA05/S577A(1) (see section INTM630420).

PreviousNext
PrivacyTerms