INTM214050 - How the CTSA regime works for Controlled Foreign Companies
Intention to pursue an Acceptable Distribution Policy ('ADP')
General
At the time a return is made it may not be established whether a controlled foreign company has pursued an acceptable distribution policy. This is because the time limit for pursuing an ADP is 18 months from the end of the controlled foreign company’s accounting period (or at such later time as the Board may allow), while a return must be made within 12 months from the end of the United Kingdom company’s accounting period. If a United Kingdom company with a relevant interest in a controlled foreign company is of the view that the controlled foreign company is likely to pursue an ADP it should make its return on the basis that the company will satisfy the ADP. If the United Kingdom relevant interest is of the view that the controlled foreign company is not likely to pursue an ADP it should make its return on the basis that the company will not satisfy the ADP. (However, if a company wishes to err on the side of caution, there is no objection to it following the second course even though it thinks it likely that an ADP will be pursued.)
Subsequent amendments
Where the United Kingdom interest has indicated in its return
that the controlled foreign company is likely to pursue an ADP and
it is subsequently established that the controlled foreign company
has not done so, the return for that period must be amended on the
basis that an ADP was not pursued.
Where the return was completed on the basis that an ADP would
not be pursued and it is subsequently established that an ADP has
been pursued, the return must be amended on the basis that an ADP
was pursued.
The time limit for making an amendment is 30 days from the
end of the period allowed under ICTA88/SCH25/PARA2 for paying the
dividend to a United Kingdom resident.
The amendment may be made under FA98/SCH18/PARA15
notwithstanding that this section has a 12 months time limit and
the end of the 30 days may fall outside that limit
(ICTA88/S754A(8)). This is only likely to arise in practice where
the Board have extended the 18 month time limit under
ICTA88/SCH25/PARA2(1)(b).
Unless it has been previously established whether or not a
controlled foreign company will pursue an ADP, it shall be taken to
be established as soon as the 18 months after the controlled
foreign company’s accounting period has elapsed or at the end
of any longer period that the Board has allowed under
ICTA88/SCH25/PARA2(1)(b).
See paragraph
INTM214080 for penalties that may
apply where an ADP amendment is not made within the above time
limit.
