INTM213070 - Controlled Foreign Companies carrying on general insurance business
Later amendments
SI1999/1408 Regulation 4
Where a United Kingdom company has made a return on the basis
set out in paragraph (a) of
INTM213060 and it is subsequently
established that the overseas company is not subject to a lower
level of taxation, then the United Kingdom company must amend the
return on the basis that the company is not a controlled foreign
company.
Where a United Kingdom company has made a return on the basis
set out in paragraph (b) of
INTM213060 and it is subsequently
established that the overseas company is subject to a lower level
of taxation, then the United Kingdom company must amend the return
on the basis that the company is a controlled foreign company.
In both the above cases any amendment must be made within 18
months and 30 days of the close of the underwriting year. The close
of the underwriting year will be the date on which the technical
provision is replaced or 3 years following the end of the
underwriting year, whichever is the sooner. A company failing to
make an amended return within the time limit allowed, where the
original return was made under the basis of (b) in
INTM213060, may be liable to a tax
related penalty under FA98/SCH18/PARA20. (The time limit set by
FA98/SCH18/PARA34 is not displaced. Hence if an enquiry is in
progress, the time limit for making an amendment arising from the
enquiry is 30 days beginning with the day on which the enquiry is
completed.)
