INTM164480 - UK residents with foreign income or gains: dividends

Determination of rates of foreign underlying tax - Case V computations - dividends received on or after 31 March 2001 with withholding tax

Example

The district has referred a dividend to the Underlying Tax Group (UTG) under INTM164440. The cash dividend received was 90, as 10% withholding tax was deducted on payment. The rate of corporation tax for the year is 30% and the "upper rate percentage" is 45%. In accordance with INTM164460 the UTG supplies the following:

Dividend100
Actual rate of underlying tax42%
Capped rate of underlying tax27%
Amount of Eligible Unrelieved Foreign Tax18
Case V computation:Dividend (90 + 10)100.00
 plus underlying tax
100/58 x 42
72.00
  172.00
 Tax at 30%51.60
 To calculate the foreign tax credit, apply the capped rate to the dividend
100/73 x 27
36.99
 Net UK liability14.61

The Case B EUFT notified by the UTG of 18 is all underlying tax.

But there is also a further amount of Case A EUFT (see INTM164250) of 10 in respect of the withholding tax:

CT due if the CT rate were 45%, the 'upper percentage' – 172 x 45%77.40
Credit available: 
Underlying tax as capped36.99
Withholding tax10.00
Amount that would be creditable46.99
Amount actually credited36.99
Case A EUFT10.00

The total of 28 EUFT can be used against pooled dividends (see INTM164270)

The underlying tax element can be used only against the Single Related Qualifying Dividend: the withholding tax element can be used against either of the Single Related or Unrelated Dividend.