INTM209200 - Controlled Foreign Companies: Computation of Chargeable Profits and Creditable Tax
Reconstruction without change of ownership
ICTA88/SCH24/PARA8
The provisions of ICTA88/S343 are modified in some respects for
the purposes of Chapter IV. ICTA88/S343 effectively provides for
continuity of relief for capital allowances and losses when a trade
is transferred from one company to another in a reconstruction
where substantial identity of ownership remains. Under Chapter IV
the conditions for the operation of ICTA88/S343 are not satisfied
where an overseas company is the 'successor' company within the
meaning of ICTA88/S343, subject to the exception described below.
The major consequences of disapplying ICTA88/S343 in this way
are
- the acquiring company is not entitled to relief for losses incurred by the 'predecessor' company in respect of the trade transferred, and
- subject to ICTA88/SCH24/PARA10 (see INTM209140), capital allowances are computed as though the acquiring company had set up and commenced a new trade.
The exception referred to above is that the provisions of
ICTA88/S343 continue to apply if the overseas company acquires a
new trade previously carried on under the same overall ownership by
a company within the charge to United Kingdom tax in respect of it.
That is provided the acquiring company carries on the trade through
a branch or agency in the United Kingdom.
Where an overseas company is a 'predecessor', the provisions
of ICTA88/S343 will apply for the purpose of computing its
chargeable profits provided that the company under the same overall
ownership to which it transfers a trade is in fact resident in the
United Kingdom. The major consequence of this is that the overseas
company’s capital allowances are computed as though it were
continuing the trade. The United Kingdom company which succeeds to
the trade is not, of course, entitled to relief for trading losses
incurred by the overseas company, since the conditions of
ICTA88/S343 are not satisfied for the purposes of computing its
Corporation Tax profits.
