INTM654030 | Distribution exemption: Anti-avoidance legislation: manipulation of controlled company rules: purpose test
From HM Revenue & Customs · International Manual
Operation of the purpose test
CTA09/S931J can apply only where a dividend is paid as part of a scheme that has as one of its main purposes to achieve exemption under CTA09/S931E.
This section will not apply where:
There is an acquisition of a previously unconnected company for wholly commercial reasons, irrespective of whether or not the CFC legislation would have applied to the company being acquired (or one of its subsidiaries).
The section will also not apply solely because of an intra-group reorganisation that is undertaken for reasons wholly unrelated to exemption under S931E.
Examples of where this section will apply include:
A foreign owned group brings a subsidiary previously held by the parent jurisdiction into UK control in order to obtain exemption for a dividend that would otherwise have been taxable.
A UK or foreign group acquires rights that have the effect of temporarily bringing a subsidiary of an unconnected group within the scope of the CFC control rules for a short period while a preference dividend is paid as part of an avoidance scheme.