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Legislation
Corporation Tax Act 2009

Crossheading Anti-diversion rule

  • Section 18G Anti-diversion rule
  • Section 18H What are “diverted profits”?
  • Section 18HA Modification of Chapter 3 of Part 9A of TIOPA 2010
  • Section 18HB Modification of Chapter 4 of Part 9A of TIOPA 2010
  • Section 18HC Modification of Chapter 5 of Part 9A of TIOPA 2010
  • Section 18HD Modification of Chapter 7 of Part 9A of TIOPA 2010
  • Section 18HE Modification of Chapter 9 of Part 9A of TIOPA 2010
  • Section 18I Exemptions from anti-diversion rule
  • Section 18IA The excluded territories exemption
  • Section 18IB The low profits exemption
  • Section 18IC The low profit margin exemption
  • Section 18ID The tax exemption
  1. Anti-diversion rule
  2. Exemptions from anti-diversion rule

Section 18I | Exemptions from anti-diversion rule

From legislation.gov.uk

(1)The exemptions referred to in section 18G(1)(c) are the exemptions set out in Chapters 11 to 14 of Part 9A of TIOPA 2010 (controlled foreign companies: exemptions from the CFC charge).

(2)In applying those Chapters for the purposes of section 18G(1)(c)—

(a)references to section 371BA(2)(b) of TIOPA 2010 are to be read as references to section 18G(1)(c),

(b)the assumptions set out in subsection (3) are to be made, and

(c)section 371VF(3) of TIOPA 2010 (definition of “related” person) is to be read with the omission of paragraphs (b) and (c).

(3)For the purposes of subsection (2)(b), assume—

(a)that the permanent establishment which company X has in territory X is a separate company from company X,

(b)that the separate company is a CFC resident in territory X,

(c)that period X and company X's other accounting periods for corporation tax purposes are accounting periods of the CFC for the purposes of Part 9A of TIOPA 2010,

(d)that the CFC's assumed total profits for period X are the adjusted relevant profits amount,

(e)that the CFC's assumed taxable total profits for period X are the same as the CFC's assumed total profits for period X,

(f)that the CFC is connected with company X and is also connected or associated with any person with whom company X is connected or associated, and

(g)that any person who has an interest in company X also has an interest in the CFC.

(4)Chapters 11 to 14 of Part 9A of TIOPA 2010 are also to be applied subject to sections 18IA to 18ID below.

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