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Contents

Official guidance
Partnership Manual

PM280000 · Overseas partnerships & treatment for UK tax purposes

  • PM281100 · UK resident members
  • PM281200 · Non-resident members: individuals
  • PM281300 · Non-resident members: companies
  • PM281400 · Non-resident company members trading in the UK
  • PM281500 · Non-resident company members not trading in the UK
  • PM282000 · Certificates of residence
  • PM283000 · Management and control
  • PM284000 · Where are the profits earned?
  • PM285000 · Composite SA returns for non-resident individual members
  • PM286000 · Investment partnerships
  • PM287000 · UK registered partnership with no UK source income or gain
  • PM288000 · Tax status of overseas partnerships
  • PM289000 · UK branches of overseas partnerships
  • PM290000 · Summary of filing requirements for partnerships with foreign aspects
  • PM291000 · Double taxation
  • PM292000 · Hybrid entities and tax arbitrage
  • PM293000 · Overseas partners in investment partnerships
  1. Overseas partnerships & treatment for UK tax purposes: contents
  2. Hybrid entities and tax arbitrage

PM292000 | Hybrid entities and tax arbitrage

From HM Revenue & Customs · Partnership Manual

A hybrid entity is one:

  • that is recognised as a person under the tax code of any territory

and

  • whose income or expenses are also treated under the same or a different tax code as the income or expenses of one or more other persons.

As described at PM288000, it is possible that an entity may be treated as transparent by one tax jurisdiction but as opaque by another. For example, the US tax rules allow members of partnerships with separate legal personality, such as Scottish Limited Partnerships, to choose whether the entity is taxed as a company or a partnership through a “check the box” election. Such a mismatch of treatment may be exploited to gain a tax advantage; this is known as ‘tax arbitrage’. Anti-avoidance rules exist to counter such arrangements. Detailed guidance is available at INTM596000 onwards. It is important to be aware of the possibility of tax arbitrage when reviewing partnerships with international aspects as these often have the potential to be hybrid entities.

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