CTM21340 - ACT: FID: foreign profits: matching
FID with distributable foreign profit (DFP): meaning of 51%
subsidiary
ICTA88/S246L (1), (2) & (5), ICTA88/S246K (12)
If a parent was to be able to match an FID with eligible profits
deriving from a subsidiary, that subsidiary had to be a 51%
subsidiary of the parent throughout the 'relevant period'.
51% subsidiary
In finding whether one company was a 51% subsidiary of another
company, that other company was treated as not being the owner of
any share capital:
- which it owned directly in a body
corporate if a profit on the sale of the shares would have been
treated as a trading receipt, or
- which it owned indirectly, and which was
owned directly by a body corporate for which a profit on the sale
of the shares would have been a trading receipt.
The relevant period
The 'relevant period' was that unbroken period which included
the whole of:
- the accounting period of the parent in
which it paid the FID which it was seeking to match with the
eligible profit (the 'payment period’), and
- any accounting period of the subsidiary
giving rise to an eligible profit that the parent sought to match
with the FID paid (a 'relevant accounting period’).
The relevant period and the payment period were identical if the
election to match the FID involved only eligible profits deriving
from an accounting period of the subsidiary coinciding with the
payment period.