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Legislation
Taxation (International and Other Provisions) Act 2010

Chapter 4 The CFC charge gateway: profits attributable to UK activities

  • Section 371DA Introduction to Chapter
  • Section 371DB The steps
  • Section 371DC Exclusion: UK activities a minority of total activities
  • Section 371DD Exclusion: economic value
  • Section 371DE Exclusion: independent companies' arrangements
  • Section 371DF Exclusion: trading profits (the basic rule)
  • Section 371DG Exclusion: trading profits (business premises condition)
  • Section 371DH Exclusion: trading profits (income condition)
  • Section 371DI Exclusion: trading profits (management expenditure condition)
  • Section 371DJ Exclusion: trading profits (IP condition)
  • Section 371DK Exclusion: trading profits (export of goods condition)
  • Section 371DL Exclusion: trading profits (anti-avoidance)
  1. Chapter 4 · The CFC charge gateway: profits attributable to UK activities
  2. Introduction to Chapter

Section 371DA | Introduction to Chapter

From legislation.gov.uk

(1)Take the steps set out in section 371DB(1) to determine the CFC's profits falling within this Chapter for the purposes of step 2 in section 371BB(1) (the CFC charge gateway).

(2)In this Chapter references to the CFC's assumed total profits are to those profits excluding its non-trading finance profits and property business profits (if any).

(3)For the purposes of this Chapter—

(a)“the OECD Report” means the Report on the Attribution of Profits to Permanent Establishments of the Organisation for Economic Co-operation and Development (“OECD”) dated 22 July 2010,

(b)terms used which are also used in the OECD Report have the same meaning as they have in the OECD Report,

(c)“the CFC group” means the CFC taken together with the companies with which it is connected as those companies may change from time to time,

(d)“the provisional Chapter 4 profits” has the meaning given at step 7 in section 371DB(1),

(e)“the relevant assets and risks” has the meaning given at step 1 in section 371DB(1), subject to any exclusions at step 2 or 6,

(f)“SPF” means a significant people function or a key entrepreneurial risk-taking function,

(g)an SPF is a “UK SPF” so far as the SPF is carried out in the United Kingdom—

(i)by the CFC, otherwise than through a UK permanent establishment, or

(ii)by a company connected with the CFC, and

(h)an SPF is a “non-UK SPF” so far as it is not a UK SPF.

(4)The Treasury may by regulations amend this Chapter as they consider appropriate to take account of any relevant document published by OECD from time to time.

(5)“Relevant document” means—

(a)a document which replaces, updates or supplements the report mentioned in subsection (3)(a), or

(b)a document which replaces, updates or supplements a document falling within paragraph (a) or a document which is a relevant document by virtue of this paragraph.

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