INTM164420 - UK residents with foreign income or gains: dividends
Determination of rates of foreign underlying tax - 10% control cases
Where relief for underlying tax is available to a United Kingdom
company which controls 10% (see
INTM164360) of the voting power in a
foreign company under:
a) ICTA88/S790 (6) and ICTA88/S801 (as extended by ESC/C1 (b)
for insurance companies for accounting periods beginning before 1
April 2000 - see the General Insurance Manual and Life Assurance
Manual) or
b) an equivalent provision in a double taxation agreement
negotiated or amended after the passing of FA 1965,
the foreign rate will be determined by Underlying Tax Group,
Fitz Roy House, Nottingham.
See
INTM164440 for instructions on the
District procedure where a claim to relief for underlying tax is
made.
