INTM204150 – Controlled Foreign Companies: exemptions - Acceptable Distribution Policy ('ADP')
Treatment of foreign taxes
Dividends from a controlled foreign company passing to a United
Kingdom resident through one or more non-resident companies may
well suffer overseas tax, whether by assessment or deduction,
between the controlled foreign company payer and the United Kingdom
resident recipient. If so the foreign tax will be taken into
account in determining the extent to which dividends reaching the
recipient 'represent' the profits of the controlled foreign
company.
The gross amount of a dividend should be taken into account
for the purposes of the acceptable distribution test. That is the
amount before deduction of any tax withheld on payment of the
dividend to the United Kingdom recipient. For this purpose
withholding tax is tax charged on payment of a dividend which would
not have been charged if the dividend had not been paid.
Care should be taken to distinguish withholding tax from tax
chargeable on the profits out of which the dividend has been paid.
Dividends paid from certain countries are often shown as having tax
‘deducted’ when in fact the tax was charged on the
underlying profits.
