FPC70030 - Film Tax Relief: Co-productions: the film production company
FA06/s32
The film tax regime introduced by FA06 treats qualifying
co-productions differently from other films in one respect. The
conditions which a company must meet to be treated as a film
production company (FPC)(
FPC10110) for a co-production are
relaxed.
The UK co-producer is not required to meet all the
conditions listed at FPC10110 but is instead only required to make
an
effective creative, technical and artistic contribution to
thefilm.
This reflects the fact that the activities that normally
characterise an FPC will, in the case of a co-production, by
definition be shared between two or more companies, so there may be
no single company in the position to meet all elements of the
definition.
This special rule for companies making co-productions does
not apply in the case of films made outside the terms of the
UK’s official co-production agreements. In such cases, a UK
co- producer can only qualify for FTR by meeting in full the
requirements for a film production company set out in FPC10110.
