INTM211090 - Reliefs against Controlled Foreign Companies' tax
'Relevant maximum'
The ‘relevant maximum’ is calculated as follows.
Chargeable profits which are apportioned to the United Kingdom
company and on which it is chargeable to tax are first reduced by
the maximum amount of relevant allowances under ICTA88/SCH26/PARA1
(
INTM211010 to
INTM211060) that are available for
set-off against Chapter IV liability (regardless of whether they
are actually claimed). This appears in the regulations as the
formula E - F, where E is the chargeable profits and F the maximum
amount of relevant allowances. Relevant allowances which are used
against other profits of the company are not available for set off.
The amount of shadow ACT that would have been paid in respect of a
distribution which, together with the shadow ACT paid in respect of
it, equals the chargeable profits after these allowances is then
reduced by any creditable tax apportioned to the company. This
gives the relevant maximum and appears in regulations as the
formula C - D where C is the shadow ACT that would have been paid
on that distribution and D the creditable tax.
Once unrelieved surplus ACT has been set against Chapter IV
liability it can no longer be relieved in any other way.
Where the whole of the company’s surplus shadow ACT has
not been set off against the company’s liability to
controlled foreign companies' tax and the company is a member of a
group the balance can be allocated by the parent to any other group
member to whom a controlled foreign company's profits have been
apportioned.
