ICTA88/S246I introduced the terms
foreign source profits (FSP) and
distributable foreign profits (DFP).
A company could obtain repayment of surplus ACT if FID paid
could be matched with DFP. FSP were used to calculate the extent to
which surplus ACT was repayable.
An FSP for an accounting period was any income or gain:
and
In finding whether any particular income or gain was included in
a company's profits chargeable to CT, it may have decided how to
allocate deductions such as charges on income, management expenses
or group relief or some non-trading deposits on loan relationships
against its various profits. A company would maximise the repayable
ACT by allocating the deductions against UK profits and overseas
profits that had suffered the least foreign tax.
The distributable foreign profit was the FSP less the
relevant amount of tax.
The 'relevant amount of tax' was the greater of:
Foreign tax was any tax imposed by an overseas territory for
which double taxation relief was afforded, and ICTA88/S788 (5)
applied (tax spared relief - see ITH578 - ITH580).
FA96 amended the definition of relevant amount of tax for
accounting periods ending after 28 November 1995, to make plain its
interpretation.
Where deductions were set against overseas profits to give an
amount of FSP, the foreign tax was found by applying the foreign
tax rate to the FSP. The figure for foreign tax would then be
different from the DTR figure shown in the CT computation.