INTM211040 - Reliefs against Controlled Foreign Companies' tax
Restriction on relief claims
A claim to relief under ICTA88/SCH26/PARA1 should not be
admitted to the extent that it includes an amount of a relevant
allowance which has been used in some other way. If, for example, a
company has already surrendered its losses as group relief or
carried them back against the profits of an earlier accounting
period under ICTA88/S393A(1), it may not subsequently withdraw the
surrender or the carry-back and use the losses to reduce a Chapter
IV assessment. This also applies to groups operating under
simplified return provisions such as the Joint Amended Return
rules. In all such cases an amendment constitutes a withdrawal and
replacement of a claim and is subject to the same constraint as a
formal withdrawal.
If, however, a company carries forward a loss under
ICTA88/S393(1), and all or any part of that loss has not yet been
relieved against future profits, those losses may be relieved
against a Chapter IV liability for the accounting period in which
the losses arose.
