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Official guidance
Oil Taxation Manual

OT41500 · Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - Contents

  • OT41501 · Taxation of Non-Residents under Section 830 ICTA 1988: Double Taxation Agreements - Outline
  • OT41510 · Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - Examples of Restrictions on UK Taxation
  • OT41520 · Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - Other treaty implications
  • OT41530 · Taxation of Non-Residents under Section 830 ICTA 1988: Double Taxation Agreements - Different types of treaties
  • OT41535 · Taxation of Non-Residents under Section 1313 CTA 2009: Double Taxation Agreements - Table
  • OT41540 · Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - Treaties with a restricted definition of the UK confined to land areas & territorial sea
  • OT41550 · Taxation of Non-Residents under Section 1313 CTA 2009: Double Taxation Agreements - Treaties without an Offshore Activities Article but with an extended definition of the UK including UK Continental Shelf, land and territorial sea areas
  • OT41560 · Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - Treaties with an Offshore Activities Article - Example 1
  • OT41570 · Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - Treaties with an Offshore Activities Article - Example 2
  • OT41580 · Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - Treaties with an Offshore Activities Article - Example 3
  • OT41585 · Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - Treaties with an Offshore Article Equivalent - Example India
  • OT41590 · Taxation of Non-residents under Section 830 ICTA 1988: Double Taxation Agreements - Measurement of duration
  • OT41610 · Taxation of Non-Residents under Section 830 ICTA 1988: Double Taxation Agreements - Shipping and Air Transport Articles
  • OT41620 · Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - The Construction and Interpretation of Treaties
  • OT41630 · Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - Permanent Establishment and Business Profits Articles
  • OT41640 · Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - Long term offshore construction type work - Overview
  • OT41642 · Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - Long term offshore construction type work - Is there a fixed place of business?
  • OT41643 · Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - Long term offshore construction type work - Is it listed in Article 5 as an example of a Permanent Establishment?
  • OT41644 · Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - Long term offshore construction type work - Is there a construction project lasting more than a given number of months?
  • OT41645 · Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - Long term offshore construction type work - An example
  • OT41650 · Taxation of Non-Residents under Section 830 ICTA 1988: Double Taxation Agreements - Operations of semi-submersible drilling rigs
  1. Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - Contents
  2. Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - Long term offshore construction type work - Is there a construction project lasting more than a given number of months?

OT41644 | Non-Residents Working on the UK Continental Shelf: Double Taxation Agreements - Long term offshore construction type work - Is there a construction project lasting more than a given number of months?

From HM Revenue & Customs · Oil Taxation Manual

The second question which arises from the example referred to at OT41640 is whether the provisions of the Article of the relevant Double Taxation Treaty apply since “a building site or construction or installation project may constitutes a permanent establishment only if it lasts for more than a given number of months”. This paragraph has two functions:

  • to provide a further example of what constitutes a permanent establishment and

  • to specifically exclude from the permanent establishment category certain activities etc. which would otherwise fall within the permanent establishment definition in Article 5(1). The implication is that were it not for this exclusion a place (say a workshop) used in connection with the site or project for less than the given number of months might otherwise rank as a permanent establishment.

Consequently if the non-resident company had a building site or construction or installation project in the UK:

  • If it lasted for more than the given number of months, it would rank as a permanent establishment.

  • If it did not last for more than the given number of months, it would not rank as a permanent establishment (irrespective of whether it would otherwise be considered a permanent establishment under Article 5(1) [see above)].

The OECD Commentary on Article 5(3) indicates how the duration of a construction project etc. should be measured (usually from the date on which the non-resident company began work on the project in the UK to the date on which the company completed or abandoned work in the UK). It also emphasises that seasonal or other temporary interruptions should be included in determining the duration and it is immaterial whether work was continuously re- located since “the activities performed at each particular spot are part of a single project and that project must be regarded as a permanent establishment if, as a whole, it lasts more than a given number of months”.

If a non-resident company carried on a construction or installation project and it would therefore be necessary to obtain information to determine the duration and decide the permanent establishment issue on whether or not the project lasted for more than the given number of months.

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