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Legislation
Taxation (International and Other Provisions) Act 2010

Crossheading When foreign tax disregarded in applying Part for corporation tax purposes

  • Section 107 Disregard of foreign tax referable to derivative contract
  • Section 108 Disregard of foreign tax attributable to interest under a loan relationship
  • Section 109 Repo cases in which no disregard under section 108
  • Section 110 Stock-lending cases in which no disregard under section 108
  1. When foreign tax disregarded in applying Part for corporation tax purposes
  2. Disregard of foreign tax referable to derivative contract

Section 107 | Disregard of foreign tax referable to derivative contract

From legislation.gov.uk

(1)In applying this Part for corporation tax purposes in relation to a company, disregard tax within subsection (2).

(2)Tax is within this subsection in relation to a company so far as the tax—

(a)is tax under the law of a territory outside the United Kingdom, and

(b)is attributable, on a just and reasonable apportionment, to so much of a notional interest payment as, on such an apportionment, is attributable to a time when the company is not a party to the derivative contract concerned.

(3)For the purposes of this section, a payment is a “notional interest payment” if—

(a)a derivative contract specifies—

(i)a notional principal amount,

(ii)a period, and

(iii)a rate of interest,

(b)the amount of the payment is determined (wholly or mainly) by applying a rate to the specified notional principal amount for the specified period, and

(c)the value of the rate is the same at all times as that of the specified rate of interest.

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