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Legislation
Taxation (International and Other Provisions) Act 2010

Crossheading What is a “relevant interest” in a CFC?

  • Section 371OC “Relevant interests” of UK resident companies
  • Section 371OD “Relevant interests” of persons related to UK resident companies
  • Section 371OE Other “relevant interests”
  1. What is a “relevant interest” in a CFC?
  2. Other “relevant interests”

Section 371OE | Other “relevant interests”

From legislation.gov.uk

(1)This section applies if a person (“P”) has a direct interest in a CFC which is not a relevant interest by virtue of section 371OC or 371OD.

(2)P's direct interest is a “relevant interest”, except so far as subsection (3) applies to it.

(3)This subsection applies to P's direct interest so far as it is the same as another person's relevant interest in the CFC by virtue of the other person having an interest in P.

(4)In subsection (3) the reference to another person's relevant interest is to another person's relevant interest by virtue of section 371OC or 371OD.

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