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Contents

Official guidance
Lloyd's Manual

LLM7000 · Double taxation relief

  • LLM7010 · Foreign tax paid by Lloyd's members
  • LLM7020 · Foreign tax paid by Lloyd's members: credit relief claimed by non-residents
  • LLM7030 · Individual Names: Regulations
  • LLM7040 · Individual Names: allocation of foreign tax
  • LLM7050 · Individual Names: allocation of foreign tax: US and Canadian tax
  • LLM7060 · Individual Names: additional payments of foreign tax
  • LLM7070 · Individual Names: refunds of foreign tax
  • LLM7080 · Individual Names: refunds of foreign tax after final year
  • LLM7090 · Individual Names: making DTR claims
  • LLM7100 · Corporate members: Regulations: outline
  • LLM7110 · Corporate members: Regulations: calculating the foreign tax pool: ‘correspondence’ between accounting periods and foreign periods of accounting
  • LLM7120 · Corporate members: Regulations: calculating the foreign tax pool: adjustments of foreign amounts of tax
  • LLM7130 · Corporate members: Regulations: calculating the foreign tax pool: the amount of the pool
  • LLM7140 · Corporate members: Regulations: calculating the foreign tax pool: foreign tax adjustments
  • LLM7150 · Corporate members: Regulations: calculating the foreign tax pool: transitional arrangements
  • LLM7160 · Corporate members: Regulations: how relief is given
  • LLM7170 · Corporate members: Regulations: foreign measure of profit
  • LLM7180 · Corporate members: pre-pooling rules
  • LLM7190 · Corporate members: pre-pooling rules: a practical approach
  1. Double taxation relief: contents
  2. Double taxation relief: corporate members: Regulations: foreign measure of profit

LLM7170 | Double taxation relief: corporate members: Regulations: foreign measure of profit

From HM Revenue & Customs · Lloyd's Manual

Where Lloyd’s has a central agreement or arrangement to deal with taxes inoverseas territories HMRC will accept that, in determining the extent to which credit forforeign tax may be given, the foreign measure of profit under those arrangements can alsobe taken as the measure of relevant income for the purposes of ICTA88/S797 and to havesatisfied the provisions of ICTA88/S795A.

The territories for which there are such arrangements are:

AustraliaJapan
BelgiumMalta
CanadaNew Zealand
DominicaSt Lucia
FranceSt Vincent and the Grenadines
French PolynesiaSingapore
Hong KongUnited States of America
Israel
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