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Legislation
Taxation (International and Other Provisions) Act 2010

Crossheading Tax underlying dividend treated as underlying tax paid by dividend's recipient

  • Section 64 Meaning of “dividend-paying chain” of companies
  • Section 65 Relief for underlying tax paid by company lower in dividend-paying chain
  • Section 66 Limitations on section 65(4)
  1. Tax underlying dividend treated as underlying tax paid by dividend's recipient
  2. Limitations on section 65(4)

Section 66 | Limitations on section 65(4)

From legislation.gov.uk

(1)Section 65(4) is subject to the limitations set out in subsections (2) and (3).

(2)No tax is to be taken into account in respect of a dividend paid by a company resident in the United Kingdom except—

(a)corporation tax, and

(b)any tax for which the company is entitled to credit under this Part.

(3)No tax is to be taken into account in respect of a dividend paid by a company resident outside the United Kingdom to another such company unless it could have been taken into account, under the provisions of this Part other than section 65(4), had the other company been resident in the United Kingdom.

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