INTM211200 - Reliefs against Controlled Foreign Companies' tax
Rules for attributing Chapter IV tax
ICTA88/SCH26/PARA5(3) to (6)
The guidance in the following paragraphs does not apply to
dividends paid by a controlled foreign company out of specified
profits.
Self assessments under Chapter IV will not necessarily
reflect the full amount of the profits of the controlled foreign
company which have been apportioned. For example, individuals, non-
residents and United Kingdom companies with a small interest in the
controlled foreign company (see
INTM210030) will not be liable to
Chapter IV tax. However, without some modification to the normal
double taxation rules, 'gross attributed tax' would be apportioned
rateably among all persons receiving a dividend from the controlled
foreign company. So part of the relief under ICTA88/SCH26/PARA4(2)
would be given to persons who had not self assessed under Chapter
IV, to the detriment of those companies which had.
ICTA88/SCH26/PARA5(3) applies therefore where less than the
full amount of chargeable profits is apportioned to United Kingdom
companies which are liable to Chapter IV tax. The dividends paid by
the controlled foreign company are divided into two classes,
namely
- those paid primarily out of taxed profits, and
- those paid primarily out of other profits.
The 'taxed profits' are the amount of the controlled foreign
company’s profits which corresponds to the proportion of
chargeable profits which results in self assessments. The 'gross
attributed tax' which qualifies for relief under
ICTA88/SCH26/PARA4(2) is then regarded as attributable to the taxed
profits. If a dividend is received by a United Kingdom company
which was self assessed under Chapter IV in respect of the
chargeable profits which the dividend represents, or is received by
a successor in title of such a company, the dividend is treated as
paid primarily out of taxed profits and relief under
ICTA88/SCH26/PARA4(2) is available accordingly. A dividend received
by any other person is treated as paid primarily out of profits
which are not taxed profits and relief under ICTA88/SCH26/PARA4(2)
is not available.
For this purpose a successor in title of a United Kingdom
company means a person who is a successor to the whole or any part
of the interest in the controlled foreign company which resulted in
the apportionment of chargeable profits to the United Kingdom
company.
Example 6 at
INTM211220 illustrates the operation
of ICTA88/SCH26/PARA5(3) and (4).
