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Legislation
Taxation (International and Other Provisions) Act 2010

Crossheading Limit on, and reduction of, credit against income tax

  • Section 36 Amount of limit
  • Section 37 Credit against tax on trade income: further rules
  • Section 38 Credit against tax on royalties: further rules
  • Section 39 Credit reduced by reference to accrued income losses
  1. Limit on, and reduction of, credit against income tax
  2. Credit against tax on royalties: further rules

Section 38 | Credit against tax on royalties: further rules

From legislation.gov.uk

(1)Subsection (2) applies if—

(a)the arrangements are double taxation arrangements, and

(b)royalties, as defined in the arrangements, are paid in respect of an asset in more than one foreign jurisdiction.

(2)For the purposes of section 36(2)—

(a)royalty income arising in more than one foreign jurisdiction in a tax year in respect of the asset is to be treated as a single item of income, and

(b)credits available for foreign tax in respect of the royalty income are to be aggregated accordingly.

(3)In this section “foreign jurisdiction” means a jurisdiction outside the United Kingdom.

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