GIM11130 - Captive insurers: controlled foreign companies: funded accounting: tax rules: time limits for enquiries, returns and payment of dividends where the CFC fails to pay the dividend within the time limit
The UK company may submit its return on the basis that it
intends to pursue an ADP, but it may fail to do so because it does
not pay a dividend within 18 months following the replacement of
the technical provision, or any later period approved by the Board.
The chargeable profits of the CFC will fall to be apportioned to
the UK company.
The UK company has 30 days from the 18-month time limit in
which to amend its return. In this example in which the CFC’s
fund closes on 31 December 2001 and the accounts are signed off on
14 April 2002, the UK company has until 13 October 2003 in which to
amend its return. The enquiry window is unaffected and runs from 14
April 2002 to 13 April 2004. The enquiry is into the whole return
not just the amendment.
If the company had a four-year funded account (or longer),
the fund would close on 31 December 2003. In this case, the UK
company has until 30 July 2005 to amend its return. The enquiry
window still runs from 31 December 2003 to 31 December 2005. In
this case there would be a period from 1 January 2003 until 31
December 2003 where there is no enquiry window open.
