CTM16200 - Distributions: impact on CT: franked investment income: surplus: claims under ICTA88/S242
ICTA88/S242 (1), (9), & ICTA88/S244 (1)
Surplus franked investment income (FII) is an excess of FII that
a company has received over franked payments (FP) the company has
made in the accounting period.
For accounting periods ended before 2 July 1997, a company
could claim under ICTA88/S242 (see
CTM16220) to treat the surplus as a like
amount of profits within the charge to CT. What this means in
practice is that:
- certain unused reliefs (losses etc) (see CTM16220) can be set against the surplus FII,
and
- the tax credit attached to the surplus FII is then paid to the company,
and
- the surplus FII (for ICTA88/SCH13 purposes) and unused reliefs carried forward to the next accounting period are reduced accordingly.
A claim under ICTA88/S242 must exclude any surplus FII the
company has brought forward from earlier accounting periods. It
must also exclude any FII that the company has set off against FP
of a later accounting period. There is an example of a claim under
ICTA88/S242 in
CTM16210.
Note that special rules apply for claims involving FII of
1993-94 (see
CTM20535).
A company may make FP and receive FII on various dates
throughout an accounting period. You may need to analyse these
transactions by reference to the ICTA88/SCH13 return periods to
find when surplus FII arose. This will be relevant in considering
whether a surplus arose before or after 5 April where the rate of
tax credit has changed (see
CTM16215).
