INTM204050 - Controlled Foreign Companies: exemptions - Acceptable Distribution Policy ('ADP')
Definition of net chargeable profits
ICTA88/SCH25/PARA3(4A)
The net chargeable profits are the chargeable profits for the
period less the company’s unrestricted creditable tax. See
INTM209020 for further discussion of chargeable profits. The
unrestricted creditable tax is the creditable tax that would be due
if an apportionment were due for that period (
INTM210000) but without applying the
restriction in ICTA88/S797 which limits creditable tax to the
corporation tax due on the chargeable profits.
The effect of allowing unrestricted creditable tax is that,
in computing the creditable tax, no grossing up of dividends for
underlying tax or withholding tax is required. The tax shown as
paid in the controlled foreign company’s accounts can be
accepted as a proper deduction in arriving at net chargeable
profits.
