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Contents

Official guidance
International Manual

INTM653000 · Distribution exemption: Exemption for all other companies

  • INTM653010 · Outline
  • INTM653020 · Exempt classes
  • INTM653030 · Controlled companies
  • INTM653040 · Non-redeemable ordinary shares
  • INTM653050 · Meaning of "ordinary shares"
  • INTM653060 · Those that do not issue shares
  • INTM653070 · Meaning of "redeemable"
  • INTM653080 · Portfolio holdings
  • INTM653090 · Transactions not designed to reduce tax
  • INTM653100 · Relevant profits
  • INTM653110 · Series of transactions
  • INTM653120 · Shares accounted for as liabilities
  1. Distribution exemption: Exemption for all other companies: Contents
  2. Distribution exemption: Exemption for all other companies: outline

INTM653010 | Distribution exemption: Exemption for all other companies: outline

From HM Revenue & Customs · International Manual

The conditions for exemption

Chapter 3 of CTA09/Part 9A sets out the conditions for a distribution to be exempt from corporation tax if it is received by a company other than a small company.

There are three conditions for exemption set out in CTA09/S931D.

  • The distribution falls into an exempt class.

  • The distribution must not be an amount, typically of interest, that is deemed by CTA10/S1000E or S1000F to be a distribution (see INTM655070).

  • A deduction is not allowed to any foreign resident in accordance with any foreign tax law in respect of the distribution (see INTM652030).

A distribution falls into an exempt class if

  • it falls within one or more of the classes described in CTA09/S931E to S931I

  • it is not prevented from falling within the exempt classes in CTA09/S931E to S931I by reason of any of the anti-avoidance rules in S931J to S931Q.

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