GIM12080 -
Double taxation relief: overseas branch profits: foreign taxes on
UK insurers where there is no “permanent
establishment”: admissibility for credit
The country section of the International Manual lists those
taxes that the Board have considered to be admissible or
inadmissible for tax credit relief purposes. In no case should tax
credit relief be given:
- for tax in excess of the minimum amount
properly chargeable in the overseas country, after taking account
of the relevant provisions of any tax treaty between that country
and the United Kingdom (INTM161250); or
- for a greater amount of foreign tax than
the UK corporation tax chargeable on the doubly-taxed profits
(INTM167060 onwards).